Burt v. Comm'r

2013 T.C. Memo. 140, 105 T.C.M. 1827, 2013 Tax Ct. Memo LEXIS 141
Procedural entryThis page is a short order in Burt v. Comm'r. Read the opinion of the Court — 105 T.C.M. 1398
United States Tax Court·Decided June 4, 2013·No. Docket No. 26434-11L·Unpublished

Opinion

MICHAEL BURT, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Burt v. Comm'r
Docket No. 26434-11L
United States Tax Court
T.C. Memo 2013-140; 2013 Tax Ct. Memo LEXIS 141; 105 T.C.M. (CCH) 1827;
June 4, 2013, Filed
Burt v. Comm'r, T.C. Memo 2013-58, 2013 Tax Ct. Memo LEXIS 59 (T.C., 2013)
*141

An order granting respondent's motion and decision for respondent will be entered.

Michael Burt, Pro se.
Timothy S. Murphy, Robert D. Heitmeyer, and A. Gary Begun, for respondent.
CHIECHI, Judge.

CHIECHI
MEMORANDUM OPINION

CHIECHI, Judge: This case is before us on respondent's motion for summary judgment (respondent's motion). We shall grant respondent's motion.

Background

The record establishes and/or the parties do not dispute the following.

*141 Petitioner resided in Michigan at the time he filed the petition.

On October 19, 2006, petitioner filed Form 1040, U.S. Individual Income Tax Return (Form 1040), for his taxable year 2005 (2005 Form 1040). In that form, petitioner showed "adjusted gross income" of $69,685, "Taxable income" of $37,985, "total tax" of $18,259, and "2005 estimated tax payments and amount applied from 2004 return" of $25,908. Petitioner showed in his 2005 Form 1040 an overpayment of Federal income tax (tax) of $7,649.

Respondent credited against the "total tax" of $18,259 that petitioner showed in his 2005 Form 1040 estimated tax payments of $14,620. As a result, petitioner had tax due of $3,639 for his taxable year 2005. Petitioner has not paid any of that tax due for that *142 taxable year.

On August 22, 2008, petitioner filed Form 1040 for his taxable year 2004 (2004 Form 1040). In that form, petitioner showed "adjusted gross income" of $179,754, "Taxable income" of $146,061, "total tax" of $62,261, "Federal income tax withheld from Forms W-2 and 1099" of $11,703, "2004 estimated tax payments and amount applied from 2003 return" of $25,710, and "Amount paid with request for extension to file" of $36,136. Petitioner showed in his 2004 Form 1040 an overpayment of tax of $11,288.

*142 Respondent credited against the "total tax" of $62,261 that petitioner showed in his 2004 Form 1040 (1) tax withholding of $11,703, (2) estimated tax payments of $23,710, and (3) an overpayment of tax for his taxable year 2003 of $2,224.23. As a result, petitioner had tax due of $24,623.77 for his taxable year 2004. Petitioner has not paid any of that tax due for that taxable year.

On April 9, 2007, respondent assessed the "total tax" of $18,259 that petitioner showed in his 2005 Form 1040, an addition to tax under section 6651(a)(2)1 of $218.34, and interest as provided by law for petitioner's taxable year 2005. On certain other dates after April 9, 2007, respondent assessed certain *143 additional amounts of the addition to tax under section 6651(a)(2) for petitioner's taxable year 2005. (We shall refer to any unpaid assessed amounts with respect to petitioner's taxable year 2005, as well as any unassessed interest as provided by law, as petitioner's unpaid 2005 liability.)

On December 15, 2008, respondent assessed the "total tax" of $62,261 that petitioner showed in his 2004 Form 1040, additions to tax under section 6651(a)(1) and (2) of $5,540.35 and $5,417.23, respectively, and interest as provided by law for petitioner's taxable year 2004. On certain other dates after *143 December 15, 2008, respondent abated in full the respective additions to tax under section 6651(a)(1) and (2) and also abated certain interest as provided by law, which respondent had assessed for petitioner's taxable year 2004. (We shall refer to any unpaid and unabated assessed amounts with respect to petitioner's taxable year 2004, as well as any unassessed interest as provided by law, as petitioner's unpaid 2004 liability.)

On June 30, *144 2009, respondent issued to petitioner a notice of Federal tax lien filing and your right to a hearing under IRC 6320 (notice of tax lien) with respect to petitioner's unpaid 2004 liability and petitioner's unpaid 2005 liability.

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Burt v. Comm'r, 2013 T.C. Memo. 140, 105 T.C.M. 1827, 2013 Tax Ct. Memo LEXIS 141 (tax 2013).

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