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United States Ninth Circuit


Tricarichi v. Commissioner of Internal Revenue, 16-73418

Affirming a U.S. Tax Court decision, held that the former sole shareholder of a company that received a $65 million litigation settlement was liable for the taxes, and in particular the pre-notice interest component, despite having entered into a tax-shelter transaction.

Appellate Information

  • Published 2018/11/13

Judges

  • Owens

Court

  • United States Ninth Circuit

Counsel

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