Brenner Income Tax Centers, Inc. Ex Rel. Brenner v. Director of Practice of the Internal Revenue Service

87 F. Supp. 2d 252, 86 A.F.T.R.2d (RIA) 5119, 2000 U.S. Dist. LEXIS 3116, 2000 WL 279878
CourtDistrict Court, S.D. New York
DecidedMarch 1, 2000
Docket99 CIV. 12491 CM
StatusPublished
Cited by3 cases

This text of 87 F. Supp. 2d 252 (Brenner Income Tax Centers, Inc. Ex Rel. Brenner v. Director of Practice of the Internal Revenue Service) is published on Counsel Stack Legal Research, covering District Court, S.D. New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Brenner Income Tax Centers, Inc. Ex Rel. Brenner v. Director of Practice of the Internal Revenue Service, 87 F. Supp. 2d 252, 86 A.F.T.R.2d (RIA) 5119, 2000 U.S. Dist. LEXIS 3116, 2000 WL 279878 (S.D.N.Y. 2000).

Opinion

MEMORANDUM ORDER DENYING INJUNCTION

McMAHON, District Judge.

Summary

William A. Brenner (“Brenner”), Brenner Income Tax Centers, Inc. (“Brenner Income Tax Centers”), and Brenner Enterprises, Inc. (“Brenner Enterprises”) bring this action challenging the March 8, 1999 final decision of the Director of Practice of the Internal Revenue Service sustaining the decision of the Director of the IRS Andover Service Center to suspend Plaintiffs from the Electronic Filing Program for Form 1040, U.S. Individual Tax Returns (the “ELF Program”) due to fail *253 ure to file timely income tax returns. Plaintiffs seek an injunction directing the IRS to reinstate Brenner and Brenner Income Tax Centers in the ELF Program. Based on a review of the facts and the law, the injunction is denied.

Facts

A. Electronic Filing Program

Mr. Brenner filed a Form 8633 Application solely in the name of Brenner Income Tax Centers on October 3, 1991. (IRS Andover Service Center Printout for EFIN 140345, attached to Normand Decl. as Exh. B; see also Complaint ¶ 5.) On November 22, 1996, Mr. Brenner filed a Form 8633 Application on behalf of Brenner Enterprises “doing business as” Brenner Income Tax Centers. (Form 8633 Application, attached to Normand Decl. as Exh. A.) The Form 8633 Application specified that Mr. Brenner was the president and sole principal and responsible official of the company. (Id.) On December 2, 1996, the IRS assigned the company the Electronic Filing Number (“EFIN”) 141090. (Dec. 2, 1996 Letter from Thomas M. Quinn to Brenner Income Tax Centers and William A. Brenner, attached to Normand Decl. as Exh. C.)

B. Plaintiffs’ Suspension from the ELF Program

On July 10, 1998, the Andover Service Center of the IRS conducted a routine “suitability check” on EFIN 141090 and found that the 1997 tax return for Brenner Enterprises had not been filed. Additionally, although an extension had been requested for the 1996 fiscal year tax return, the return was filed beyond the extension deadline. ( Initial Suitability Recommendation, attached to Normand Decl. as Exh. D.) On July 17,1998, a follow-up suitability check confirmed that for the tax period ending September 30, 1997, no corporate tax return had been filed, and no extension had been requested. (Id.) Accordingly, on July 31, 1998 the Director of the Andover Service Center notified Plaintiffs that, pursuant to Revenue Procedure 97-60, the IRS was suspending them from participation in the ELF Program based on their failure to file a fiscal year Form 1120 corporate income tax return for 1997. 1 (July 31, 1998 Letter from Thomas M. Quinn to Brenner Income Tax Centers and William A. Brenner, attached to Normand Decl. as Exh. E.)

C.Plaintiffs’Administrative Appeals

On August 28, 1998, Plaintiffs appealed the suspension in writing and advised the IRS that they were in the process of filing the 1997 return and that the delay was due to theft and embezzlement during 1997, which left business records either missing or inaccurate. (Aug. 28, 1998 Letter from William A. Brenner to Thomas M. Quinn, attached to Normand Decl. as Exh. F.) Mr. Brenner noted that no federal tax was due and that the New York State tax had been paid. (Id.) A request was made for an extension of 30 days to file the return for 1997. (Id.)

In connection with Plaintiffs’ appeal, the Andover Service Center conducted another suitability check on EFIN 141090 on September 8, 1998. (First Appeal-Service Center Suitability Recommendation, attached to Normand Decl. as Exh. G.) This check revealed that Brenner Enterprises had filed untimely returns for fiscal years 1994,1995 and 1996. (Id.)

On September 15, 1998, Mr. Brenner informed the Director of the Andover Service Center that he" had filed the Brenner Income Tax Centers’ Form 1120S 1997 corporate income tax return on September 14, 1998. (Sept. 15, 1998 Letter from William A Brenner to Thomas M. Quinn, attached to Normand Decl. as Exh. H.) Mr. Brenner explained that the lateness was *254 due to the misconduct of his General Manager who had stolen and manipulated records. (Id.)

On September 25, 1998, the Director of the Andover Service Center notified Plaintiffs that although the additional information had been considered, the agency adhered to its decision of suspension. (Sept. 25, 1998 Letter from Thomas M. Quinn to Brenner Income Tax Centers and William A. Brenner, attached to Normand Decl. as Exh. I.) The letter alerted Plaintiffs that they could appeal this decision to the Director of Practice within thirty days. (Id.)

In anticipation of Plaintiffs’ administrative appeal, the Andover Service Center conducted a final suitability check on EFIN 141090 on September 29, 1998. (DOP Appeal Suitability Recommendation, attached to Normand Decl. as Exh. J.) This suitability check confirmed that Brenner Income Tax Centers’ Form 1120S for 1997 had been filed late and that no extension had been requested. (Id.) It also revealed that Brenner had been “late in filing his [individual Form] 1040’s.” (Id.) The IRS concluded that “filer consistently files extensions and then files after [the] extension date.” (Id.)

Mr. Brenner appealed the Andover Service Center’s decision to the IRS Director of Practice on October 16, 1998. (Oct. 16, 1998, Letter from William A. Brenner to Director of Practice, attached to Normand Decl. as Exh. K.) In the letter, Mr. Brenner noted again that embezzlement and theft of records caused the late filing of Brenner Income Tax Center’s 1997 return, but that it had been completed and mailed to the IRS on September 14, 1998, and received by the IRS on September 19, 1998. (Id.) Mr. Brenner noted his concern that the IRS letter of September 25, 1998 and his letter of September 15, 1998 may have crossed in the mail. (Id.)

D. The Decision on Appeal

On March 8, 1999, the IRS Director of Practice issued a Decision on Appeal. (March 8, 1999 Letter from Vincent J. Simone for Patrick W. McDonough to Brenner Enterprises, Inc. d\b\a Brenner Income Tax Centers and March 8, 1999 Decision on Appeal of Patrick W. McDon-ough, attached to Normand Decl. as Exh. L.) In the Decision on Appeal, the Director of Practice noted that pursuant to section 13 of Revenue Procedure 97-60, the IRS reserves the right to rescind the electronic filing privileges of any electronic filer who violates any provision of the Revenue Procedure. See Rev. Pro. 97-60 § 13. Among the reasons the Director noted for which an electronic filer may be suspended was “failure to timely file tax returns, both business and personal.” (March 8, 1999 Decision on Appeal of Patrick W. McDon-ough, attached to Normand Decl. as Exh. L.) The Andover Service Center’s decision to suspend Plaintiffs, the Director of Practice observed, “was based among other reasons on [Brenner Enterprises d\b\a Brenner Income Tax Centers’] failure to timely file its 1997 Form 1120 tax return.” (Id.)

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87 F. Supp. 2d 252, 86 A.F.T.R.2d (RIA) 5119, 2000 U.S. Dist. LEXIS 3116, 2000 WL 279878, Counsel Stack Legal Research, https://law.counselstack.com/opinion/brenner-income-tax-centers-inc-ex-rel-brenner-v-director-of-practice-of-nysd-2000.