Brown v. Commissioner

1982 T.C. Memo. 165, 43 T.C.M. 954, 1982 Tax Ct. Memo LEXIS 581
Procedural entryThis page is a short order in Brown v. Commissioner. Read the opinion of the Court — 78 T.C. 215
United States Tax Court·Decided March 30, 1982·No. Docket No. 19384-81.·Unpublished

Opinion

HOWARD S. BROWN and JACQUELINE R. BROWN, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Brown v. Commissioner
Docket No. 19384-81.
United States Tax Court
T.C. Memo 1982-165; 1982 Tax Ct. Memo LEXIS 581; 43 T.C.M. (CCH) 954; T.C.M. (RIA) 82165;
March 30, 1982.

*581 Ps used certified mail to send their petition to this Court. However, they did not obtain a postmark on their sender's receipt, and the envelope containing the petition bore a legible postmark date, which was 91 days after the date of the mailing of the notice of deficiency. Held, to rely on certified mail, Ps must have obtained a timely postmark on their sender's receipt. Other documentary evidence of timely mailing is not sufficient. Sec. 301.7502-1(c)(2), Proced. and Admin. Regs.

Jeffrey A. King, for the petitioners.
Judy K. Hunt, for the respondent.

SIMPSON

MEMORANDUM OPINION

SIMPSON, Judge: This matter is before us on the Commissioner's motion to dismiss this case for lack of jurisdiction. It is the Commissioner's contention that the petition in this case was not filed within the time prescribed by section 6213(a) of the Internal Revenue Code of 1954. 1

On April 15, 1981, the Commissioner mailed a statutory notice of deficiency to the petitioners*583 at their last known address. The 90-day period for filing a petition with this Court expired on Tuesday, July 14, 1981, which date was not a legal holiday in the District of Columbia. On Monday, July 20, 1981, 96 days after the notice of deficiency was mailed, the Court received and filed the petition. The envelope in which such petition was mailed bore a certified mail sticker and a legible postmark date of July 15, 1981, Tampa, Florida. July 15, 1981, was 91 days after the date the deficiency notice was mailed. Although certified mail was used, the sender's receipt did not contain a postmark.

A petition for redetermination of a deficiency must be filed with this Court within 90 days after the notice of deficiency is mailed to a taxpayer within the United States. Sec. 6213(a). Generally, we prefer to hold that this Court has jurisdiction whenever possible, so as to provide taxpayers with an opportunity to obtain judicial redetermination of their tax liability prior to the payment thereof. Fishman v. Commissioner,51 T.C. 869, 874 (1969), affd. per curiam 420 F. 2d 491 (2d Cir. 1970).*584 However, Congress has limited the period for filing a petition with this Court, and we have no jurisdiction where a petition is filed late. Smetanka v. Commissioner,74 T.C. 715 (1980); Sylvan v. Commissioner,65 T.C. 548 (1975).

It is clear that the petition was not received by this Court within the 90-day period prescribed by section 6213(a). Thus, this Court has no jurisdiction unless the petitioners can bring themselves within the provisions of section 7502. That section provides that if certain documents (including a petition) are delivered by the United States mail after the time for filing them, if they were mailed timely, and if they bear a timely postmark made by the U.S. Postal Service, they will be considered to be filed on the date of the postmark. Sec. 7502(a)(1) and (2); Sylvan v. Commissioner,supra at 550. Congress enacted section 7502 to eliminate the inequities resulting from variations in the delivery of the mail. Since the time of mailing was to be treated as the time of delivery, Congress made the date of the*585 postmark, not the date the document was placed in the mail, determinative of the time of mailing. Thus, except when the petitioner uses registered or certified mail (see sec.

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Brown v. Commissioner, 1982 T.C. Memo. 165, 43 T.C.M. 954, 1982 Tax Ct. Memo LEXIS 581 (tax 1982).

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