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Liberty Global and the Burden of Proof

By Jenny A. Austin, Anthony D. Pastore & Jeremy Himmelstein on August 9, 2023
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In a recent case, the IRS sued a corporate taxpayer in district court for supposedly unpaid taxes—without issuing a notice of deficiency first. The taxpayer claimed that this move was improper, but the district court sided with the IRS. In an opinion issued in June, the court held that the deficiency process is essentially optional for the IRS.

We discuss this case—United States v. Liberty Global, Inc.—in a recent Tax Notes article. We suggest that the IRS might not take a similar approach in other tax disputes because of the so-called “burden of proof.” Normally, the taxpayer bears the burden of proving that the IRS’s adjustment is incorrect. Presumably, if the IRS initiates suit, it bears the burden of proving that its adjustment is correct. It could not simply pick holes in the taxpayer’s arguments, but would instead need to build an affirmative case. The IRS might not want to do that except in exceptional circumstances.

The IRS might be especially reticent to bear the burden of proof in a transfer pricing dispute. When the IRS asserts a transfer pricing adjustment under section 482, the taxpayer has the double burden of proving that the IRS’s position is arbitrary, capricious, and unreasonable and that its position is correct. It stands to reason that the IRS would bear this double burden if it initiated suit.

Our Tax Notes article is available here.

Photo of Jenny A. Austin Jenny A. Austin

Jenny Austin is a partner in Mayer Brown’s Chicago office and a member of the Tax Controversy practice. She concentrates her practice on federal tax controversy and litigation, working across all industries, including medical device, pharmaceutical, health care, retail, and technology companies. She…

Jenny Austin is a partner in Mayer Brown’s Chicago office and a member of the Tax Controversy practice. She concentrates her practice on federal tax controversy and litigation, working across all industries, including medical device, pharmaceutical, health care, retail, and technology companies. She guides clients through all stages of tax controversies, from Internal Revenue Service (IRS) audits to administrative appeals, alternative dispute resolution proceedings, and litigation. Jenny is prepared to respond to a variety of both domestic and international issues that the IRS audits and challenges. Jenny favors strategies to resolve issues successfully with the IRS at the earliest possible stage without litigation.

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Photo of Anthony D. Pastore Anthony D. Pastore

Anthony Pastore is a partner in Mayer Brown’s Chicago office and a member of the Tax Controversy & Transfer Pricing practice.

Since joining the firm in 2013, Anthony has represented corporate, partnership, and individual taxpayers in all stages of tax controversy, including examination…

Anthony Pastore is a partner in Mayer Brown’s Chicago office and a member of the Tax Controversy & Transfer Pricing practice.

Since joining the firm in 2013, Anthony has represented corporate, partnership, and individual taxpayers in all stages of tax controversy, including examination, administrative appeal, litigation, and trial. He has experience with transfer pricing allocations, debt-equity characterization, valuations, accounting method changes, substance-over-form arguments, and penalties.

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  • Posted in:
    Tax
  • Blog:
    Best Methods
  • Organization:
    Mayer Brown
  • Article: View Original Source

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