Xiang and Partovi v. Comr., T.C. Sum. Op. 2010-105

(transactions reported on petitioners' tax returns which resulted in claims for I.R.C. Sec. 45K tax credit (credit for production of fuel from nonconventional sources) were fictitious; petitioners allegedly had no ownership interests in any landfill; promoters of scheme had no ownership interest in any landfill that produced alternative fuels; petitioners determined to be victims of fraudulent scheme).