Brannon v. Commissioner

1988 T.C. Memo. 472, 56 T.C.M. 371, 1988 Tax Ct. Memo LEXIS 488
CourtUnited States Tax Court
DecidedSeptember 28, 1988
DocketDocket No. 28235-86.
StatusUnpublished

This text of 1988 T.C. Memo. 472 (Brannon v. Commissioner) 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
Brannon v. Commissioner, 1988 T.C. Memo. 472, 56 T.C.M. 371, 1988 Tax Ct. Memo LEXIS 488 (tax 1988).

Opinion

THOMAS BRANNON AND HELEN D.T. BRANNON, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Brannon v. Commissioner
Docket No. 28235-86.
United States Tax Court
T.C. Memo 1988-472; 1988 Tax Ct. Memo LEXIS 488; 56 T.C.M. (CCH) 371; T.C.M. (RIA) 88472;
September 28, 1988; As amended October 6, 1988
Thomas Brannon and Helen D.T. Brannon, pro se.
Theodore Leighton,Rose Gole, and Michele A. Missry for the respondent.

WHALEN

MEMORANDUM OPINION

WHALEN, Judge: This case is before the Court to decide respondent's Motion to Dismiss for Lack of Jurisdiction, filed November 13, 1987, as supplemented by his Memorandum of Law in Support of Respondent's Motion to Dismiss for Lack of Jurisdiction ("Memorandum") filed March 31, 1988, and petitioners' opposition thereto, entitled "Response to Order," filed July 13, 1988.

Respondent's Motion to Dismiss asserts that the petition in this case, filed more than 90 days after mailing of the subject notice of deficiency, is untimely under section 6213(a)1 and should be dismissed. Respondent further asserts that the case must be dismissed despite the terms of a stipulation filed in petitioner's bankruptcy proceeding which was "so-Ordered" by the Bankruptcy Court, purporting to extend the 90-day statutory period under section 6213(a), and despite the fact that a prior timely petition was erroneously dismissed. We agree.

*490 The petition in this case was mailed to the Court on July 7, 1986, and was received by the Court, and file-stamped, July 11, 1986. It relates to six notices of deficiency. Four such notices, one for each year 1980, 1981, 1982 and 1983, were sent to petitioner Thomas Brannon and two notices, one for 1980 and one for 1981, were sent to petitioner Helen D. T. Brannon. All of the notices of deficiency were mailed on February 12, 1985, 510 days prior to the date on which the petition was mailed to the Court.

During the hearing on this matter held on December 7, 1987, petitioners directed the Court's attention to the fact that they had filed a petition with the United States Bankruptcy Court for the Eastern District of New York, case no. 883-30232-20, under Chapter 7 of the Bankruptcy Code, 11 U.S.C. Chapter 7. They pointed to the fact that a stipulation, dated February 7, 1986 was executed in that proceeding by petitioners and a representative of the United States Attorney. The stipulation provides in pertinent part as follows:

6. THOMAS BRANNON AND HELEN BRANNON shall file a petition with the Tax Court for determination of their tax liability pursuant to 6213 [sic], Internal*491 Revenue Code, for the taxable years, 1980, 1981, 1982 and 1983, and they shall do the same within 90 days after this stipulation is "so Ordered" by the Bankruptcy Court.

It appears from respondent's Memorandum that the stipulation was "so-Ordered" by the Bankruptcy Court on April 8, 1986, and that the petition in this case was mailed to the Court on July 7, 1986, 90 days thereafter. 2

Respondent argues that the subject petition is nevertheless untimely. He notes that the automatic stay prohibiting the commencement of a proceeding before this Court following a petition in bankruptcy, 11 U.S.C. section 362*492 (a)(8) (1983), had been lifted by operation of law on August 31, 1983, by reason of the Bankruptcy Court's denial of a discharge to petitioners. A copy of the Bankruptcy Court's order denying discharge to petitioners is attached as an exhibit to respondent's Motion to Dismiss and is unchallenged by petitioners. 11 U.S.C. section 362(c)(2)(C), as in effect during 1983, provided as follows:

(2) the stay * * * under subsection (a) of this section continues until the earliest of --

(A) the time the case is closed;

(B) the time the case is dismissed; and

(C) if the case is a case under chapter 7 of this title concerning an individual or a case under chapter 9, 11 or 13 of this title, the time a discharge is granted or denied.

Based upon the information available to the Court at this time, therefore, it appears that the automatic stay was lifted on August 31, 1983, approximately eighteen months before the subject notices of deficiency were mailed to petitioners on February 12, 1985. See Clark v. Commissioner,90 T.C. 68, 70 (1988); Thompson v. Commissioner,84 T.C. 645, 648 (1985).

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Bluebook (online)
1988 T.C. Memo. 472, 56 T.C.M. 371, 1988 Tax Ct. Memo LEXIS 488, Counsel Stack Legal Research, https://law.counselstack.com/opinion/brannon-v-commissioner-tax-1988.