Burke v. Comm'r

2009 T.C. Memo. 282, 98 T.C.M. 547, 2009 Tax Ct. Memo LEXIS 286
United States Tax Court·Decided December 8, 2009·No. No. 5100-08L·Unpublished

Opinion

TIMOTHY BURKE, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Burke v. Comm'r
No. 5100-08L
United States Tax Court
T.C. Memo 2009-282; 2009 Tax Ct. Memo LEXIS 286; 98 T.C.M. (CCH) 547;
December 8, 2009, Filed
Burke v. Comm'r, 485 F.3d 171, 2007 U.S. App. LEXIS 10525 (1st Cir., 2007)
*286

The IRS determined a deficiency in P's income tax for 1998. P petitioned the Tax Court, which sustained the IRS's determination. P did not file an appeal bond but appealed to the Court of Appeals for the First Circuit, which affirmed. The Supreme Court denied P's petition for certiorari. After the Tax Court's decision and during P's appeal, the IRS assessed tax and interest for 1998 and issued a levy notice. The IRS also imposed a failure-to-pay addition to tax under

I.R.C. sec. 6651(a)(3). P requested a CDP hearing and challenged the addition to tax on the grounds that the IRS should not have assessed the addition while P pursued his appeals, that the assessment was improper because neither the notice of deficiency nor the Tax Court determined any penalties, and that he reasonably relied on statements by IRS examining agents that no penalties would apply. P requested abatement of the I.R.C. sec. 6651(a)(3) failure-to-pay addition to tax. IRS Appeals denied P's abatement request and sustained the levy notice. P appealed the notice of determination.

Held: P is liable for the I.R.C. sec. 6651(a)(3) failure-to-pay addition to tax.

Held, further, Appeals did not abuse its discretion in sustaining *287the collection action, and collection by levy may proceed.

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Burke v. Comm'r, 2009 T.C. Memo. 282, 98 T.C.M. 547, 2009 Tax Ct. Memo LEXIS 286 (tax 2009).

2009 T.C. Memo. 282 (Burke v. Comm'r) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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