Berkshire 2006-5, LLP v. Comm'r

2016 T.C. Memo. 25, 110 T.C.M. 1103, 111 T.C.M. 1103, 2016 Tax Ct. Memo LEXIS 25
CourtUnited States Tax Court
DecidedFebruary 17, 2016
DocketDocket Nos. 26512-14, 28623-14, 28696-14
StatusUnpublished

This text of 2016 T.C. Memo. 25 (Berkshire 2006-5, LLP v. Comm'r) is published on Counsel Stack Legal Research, covering United States Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Berkshire 2006-5, LLP v. Comm'r, 2016 T.C. Memo. 25, 110 T.C.M. 1103, 111 T.C.M. 1103, 2016 Tax Ct. Memo LEXIS 25 (tax 2016).

Opinion

BERKSHIRE 2006-5, LLP, CARL F. HATTLER, A PARTNER OTHER THAN THE TAX MATTERS PARTNER, ET AL.,1 Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Berkshire 2006-5, LLP v. Comm'r
Docket Nos. 26512-14, 28623-14, 28696-14
United States Tax Court
T.C. Memo 2016-25; 2016 Tax Ct. Memo LEXIS 25; 111 T.C.M. (CCH) 1103;
February 17, 2016, Filed

An appropriate order dismissing the case for lack of jurisdiction will be entered in each docket.

*25 Lindsey W. Cooper, Jr., and Margarete L. Allio, for petitioner.
Scott Lyons and Johnny Craig Young, for respondent.
BUCH,Judge.

BUCH
*26 MEMORANDUM OPINION

BUCH, Judge: Carl Hattler invested in three partnerships that were subject to the partnership provisions of the Tax Equity and Fiscal Responsibility Act of 1982 (TEFRA), Pub. L. No. 97-248, sec. 402(a), 96 Stat. at 648. The Commissioner issued notices of final partnership administrative adjustment (FPAAs) for the partnerships, determining that the partnerships were not entitled to deduct any of the intangible drilling costs they reported. Mr. Hattler, a notice partner other than the tax matters partner (TMP), filed petitions after the 150th day from the date the Commissioner mailed FPAAs to the TMPs. The Commissioner filed motions to dismiss for lack of jurisdiction, alleging the petitions were untimely. Section 6226(b) allows a partner other than the tax matters partner to file a petition no later than 150 days from the date the Commissioner mails the FPAA to the TMP.2*26 Because Mr. Hattler filed the petitions after this time, we lack jurisdiction and will grant the Commissioner's motions to dismiss.

*27 Background

Mr. Hattler invested in three partnerships: Berkshire 2006-5, LLP (Berkshire 2006-5), Drilling Deep in Louisiana Water, LLP (Drilling), and Gulf Coast Development #12 LLP (Gulf). These partnerships were subject to the TEFRA partnership audit and litigation procedures of sections 6221 through 6234.

Berkshire Resources, LLC (Berkshire Resources), was the general partner and TMP for all three partnerships. In 2009 the Securities and Exchange Commission filed fraud complaints against the principals of Berkshire Resources, and the State of Wisconsin administratively dissolved Berkshire Resources on June 10, 2009.

The Commissioner examined the partnership return of each of the three partnerships and issued an FPAA with respect to each of them. The Berkshire 2006-5 and Drilling FPAAs were for the 2006 partnership taxable year, and the Gulf FPAA was for the 2007 partnership taxable year. The Commissioner determined that the partnerships were not entitled to deduct any of the intangible drilling costs that they reported. The Commissioner issued each partnership's FPAA on June 5, 2014, and mailed an FPAA addressed to each "Tax*27 Matters *28 Partner" at each partnership's address on that date.3 That same day the Commissioner also mailed a copy of each partnership's FPAA to "Berkshire Resources" as TMP to three different addresses, i.e., each of three separate FPAAs was sent to each of three separate addresses, for a total of nine FPAAs in addition to the three FPAAs sent to "Tax Matters Partner".

The Commissioner also mailed copies of the FPAAs for each of the three partnerships to Mr. Hattler, as a notice partner, within 60 days of mailing the FPAAs to the respective TMPs.4 On June 30, 2014, the Commissioner mailed the Drilling FPAA to Mr. Hattler, and on July 14, 2014, the Commissioner mailed the *29 Berkshire 2006-5 and the Gulf FPAAs to Mr. Hattler. These FPAAs provided the dates that the FPAAs had*28 been sent to the TMP and explained:

A petition filed by the TMP precludes all other actions. If the TMP doesn't file a petition by the 90th day from the date the FPAA was mailed, any partner or any 5 percent group entitled to receive this notice may petition one of these courts. * * * The petition must be filed after the 90th day, but on or before the 150th day from the date the FPAA was mailed to the TMP. * * * The time in which you must file a petition with the court is fixed by law and the court cannot consider your case if your petition is filed late.

On November 4, 2014, Mr. Hattler mailed petitions for all three partnerships using Federal Express's priority overnight shipping service. The Court received the petitions on November 5, 2014.5*29 At the time the petitions were filed, all three partnerships were no longer operating and thus had no principal place of business.6*30 The Commissioner filed motions to dismiss for lack of jurisdiction alleging the petitions were untimely. Mr. Hattler objected. The Court consolidated these cases for the purpose of issuing this opinion.

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Bluebook (online)
2016 T.C. Memo. 25, 110 T.C.M. 1103, 111 T.C.M. 1103, 2016 Tax Ct. Memo LEXIS 25, Counsel Stack Legal Research, https://law.counselstack.com/opinion/berkshire-2006-5-llp-v-commr-tax-2016.