Borenstein v. Comm'r

149 T.C. No. 10, 2017 U.S. Tax Ct. LEXIS 43
United States Tax Court·Decided August 30, 2017·No. Docket No. 23559-15.·Published

Opinion

ROBERTA BORENSTEIN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Borenstein v. Comm'r
Docket No. 23559-15.
United States Tax Court
2017 U.S. Tax Ct. LEXIS 43; 149 T.C. No. 10;
August 30, 2017, Filed

Decision will be entered for respondent.

P's return for the taxable year 2012 was originally due on Apr. 15, 2013. She requested and received a six-month extension of time to file that return. By virtue of that extension the due date for filing her 2012 return was Oct. 15, 2013.

P made tax payments for 2012 totaling $112,000. All of these payments were deemed made on Apr. 15, 2013. SeeI.R.C. sec. 6513. P did not file a return for 2012 by Oct. 15, 2013, or during the ensuing 22 months.

On June 19, 2015, R issued P a notice of deficiency for 2012. On Aug. 29, 2015, shortly before filing her petition, P submitted a delinquent return for 2012 that reported a tax liability of $79,559. P and R agree that P for 2012 has a deficiency of $79,559 and an overpayment of $32,441.

R contends that P is not entitled under I.R.C. sec. 6511(a) and (b)(2)(B) to a credit or refund of this overpayment because her tax payments were made outside the applicable "lookback" period keyed to the date on which the notice of deficiency was mailed. P contends that she is eligible for the three-year lookback period specified in the final sentence of I.R.C. sec. 6512(b)(3) and that she is entitled to a refund of $32,441 under that provision.

1. Held: P is not eligible for the three-year lookback period specified in the final sentence of I.R.C. sec. 6512(b)(3) because the notice of deficiency was not mailed to her "during the third year after the due date (with extensions) for filing the return of tax."

2. Held, further, P did not file her 2012 income tax return before the notice of deficiency was issued and did not pay her tax liability within two years of the mailing of the notice of deficiency. This Court therefore lacks jurisdiction to award a refund or credit of P's $32,441 overpayment for 2012.

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Borenstein v. Comm'r, 149 T.C. No. 10, 2017 U.S. Tax Ct. LEXIS 43 (tax 2017).

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