Dr Tucker has served as a consulting or testifying expert in a number of high-profile cases including:
Salina Partnership LP, FPL Group, Inc., A
Partner Other Than the Tax Matters Partner, Petitioner, v.
Commissioner of Internal Revenue, Respondent, U.S. Tax Court Docket
No. 25084-95. In this case, the IRS alleged that Florida Power
and Light engaged in a series of financial transactions whose sole
purpose was to refresh an expiring capital loss carry-forward.
Zeelandia Investorings Partnership, BFI, Inc.
Tax Matters Partner, Petitioner, v. Commissioner of Internal Revenue,
Respondent, U.S. Tax Court Docket No. 12927-95. In this case, the IRS
alleged that Borden Foods engaged in an offshore partnership and
transacted certain securities for the sole purpose of creating a paper
capital loss to offset a gain occasioned from an asset sale.
Compaq Computer Corporation and Subsidiaries,
Petitioner, v. Commissioner of Internal Revenue, Respondent, U.S. Tax
Court Docket No. 24238-96. In this case, the IRS alleged that
Compaq engaged in a series of cross trades involving nearly $1billion
of Royal Dutch Shell American Depository Receipts in order to produce
a paper capital loss and shelter gains.
Boca Investerings Partnership, American Home
Products Corporation, Tax Matters Partner, Plaintiff, v. United States
of America, Defendant, Civil Action 97-CV-602 (PFL). Here the
Tax Division of the Department of Justice alleged that AHP engaged in
an offshore partnership and a series of securities transactions
designed to shelter an approximately $600 million capital gain
occasioned by a division sale.
ACM Partnership, Southampton-Hamilton Company,
Tax Matters Partner, Petitioner, v. Commissioner of Internal Revenue,
Respondent, U.S. Tax Court Docket No. 10472-93. Also known as
the "Colgate case", the publication Tax Notes called this case "the litmus test of the Clinton Treasury administration's attempt to
put bite back into the business purpose
doctrine".
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