BROWN v. COMMISSIONER

2004 T.C. Summary Opinion 109, 2004 Tax Ct. Summary LEXIS 100
United States Tax Court·Decided August 10, 2004·No. No. 16142-03S·Unpublished

Opinion

YAKUBA G. BROWN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
BROWN v. COMMISSIONER
No. 16142-03S
United States Tax Court
T.C. Summary Opinion 2004-109; 2004 Tax Ct. Summary LEXIS 100;
August 10, 2004, Filed

*100 PURSUANT TO INTERNAL REVENUE CODE SECTION 7463(b), THIS OPINION MAY NOT BE TREATED AS PRECEDENT FOR ANY OTHER CASE.

Yakuba G. Brown, Pro se.
Hieu C. Nguyen, for respondent.
Panuthos, Peter J.

PETER J. PANUTHOS

PANUTHOS, Chief Special Trial Judge: This case was heard pursuant to the provisions of section 7463 of the Internal Revenue Code in effect at the time the petition was filed. The decision to be entered is not reviewable by any other court, and this opinion should not be cited as authority. Unless otherwise indicated, subsequent section references are to the Internal Revenue Code as amended, and all Rule references are to the Tax Court Rules of Practice and Procedure.

This matter is before the Court on respondent's motion for summary judgment, filed pursuant to Rule 121. As explained in more detail below, we shall grant such motion in part and deny the motion in part. We shall also, on the Court's own motion, dismiss for lack of jurisdiction and strike as to the taxable years 1997, 1998, and 1999.

Background

The record reflects and/or the parties do not dispute the following facts. On November 10, 2000, respondent sent to petitioner*101 a notice of intent to levy regarding unpaid income tax liabilities for 1997, 1998, and 1999. Petitioner did not request an Appeals Office hearing with respect to this notice. On April 10, 2002, respondent sent to petitioner a notice of intent to levy regarding unpaid income tax liability for 2000. Petitioner timely requested an Appeals Office hearing with respect to the April 10, 2002, notice.

During the period November 2002 through part of July 2003, representatives of the IRS unsuccessfully attempted to contact petitioner by telephone and letter. A July 1, 2003, letter from the IRS Appeals Office advised petitioner that he was entitled to a hearing for the 2000 tax year pursuant to section 6330. The letter further advised that since a timely request for hearing was not made for 1997, 1998, and 1999, an equivalent hearing would be permitted as to those years. However, the letter further advised that there was no right to dispute a decision by the Appeals Office. In July and August 2003, there were communications between petitioner and the IRS.

On August 4, 2003, the IRS representative received by fax from petitioner a Form 433-A, Collection Information Statement for Wage Earners*102 and Self-Employed Individuals, containing financial information provided by petitioner. The IRS representative concluded that the information included in the statement was incomplete and inaccurate. Petitioner was advised of the above in a telephone conference.

On August 15, 2003, respondent issued a Notice of Determination Concerning Collection Actions(s) with respect to the taxable year 2000, informing petitioner of the opportunity to file a petition with this Court, and that the IRS would proceed with collection action if no petition was filed. Also, on August 15, 2003, respondent issued petitioner a Decision Letter with respect to the taxable years 1997, 1998, and 1999. The letter advised petitioner of the IRS's intent to proceed with collection action and further that petitioner would not have an additional opportunity to dispute the decision, since a request for hearing was not filed within the time provided under section 6330.

A petition was filed with the Court on September 22, 2003. At the time the petition was filed, petitioner resided in Moreno Valley, California. The petition indicates that the dispute relates to the taxable years 1997, 1998, 1999, and 2000. As a basis*103 for the relief requested, the petition states: "I'm in the process of having my previous tax returns reviewed by another CPA. I also would like a settlement on my account so that I can begin to move forward. I have been laid off twice in the past 3 years and have some financial hardship."

Within the motion for summary judgment, respondent asks that we dismiss this case for lack of jurisdiction as to the taxable years 1997, 1998, and 1999.

Discussion

Section 6331(a) provides that if any person liable to pay any tax neglects or refuses to pay such tax within 10 days after notice and demand for payment, the Secretary is authorized to collect such tax by way of levy upon the person's property. Section 6331(d) provides that at least 30 days prior to proceeding with enforced collection by way of a levy on a person's property, the Secretary is obliged to provide the person with a final notice of intent to levy, including notice of the administrative appeals available to the person.

Section 6330(a) provides that the Secretary shall notify a person in writing of his or her right to an Appeals Office hearing regarding a notice of intent to levy. Section 6330(a)(2) provides that the prescribed*104 notice shall be provided not less than 30 days before the day of the first levy with respect to the amount of the unpaid tax for the taxable period.

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BROWN v. COMMISSIONER, 2004 T.C. Summary Opinion 109, 2004 Tax Ct. Summary LEXIS 100 (tax 2004).

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