Butts v. Comm'r

2015 Tax Ct. Memo LEXIS 80
Procedural entryThis page is a short order in Butts v. Comm'r. Read the opinion of the Court — 109 T.C.M. 1392
United States Tax Court·Decided April 15, 2015·No. Docket Nos. 20656-11, 1908-13 ·Unpublished

Opinion

DAN E. BUTTS AND PATRICIA J. BUTTS, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent PATRICIA J. BUTTS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Butts v. Comm'r
Docket Nos. 20656-11, 1908-13
United States Tax Court
2015 Tax Ct. Memo LEXIS 80;
April 15, 2015, Filed

Decision text below is the first available text from the court; it has not been editorially reviewed by LexisNexis. Publisher's editorial review, including Headnotes, Case Summary, Shepard's analysis or any amendments will be added in accordance with LexisNexis editorial guidelines.


*80 Docket Nos. 20656-11, 1908-13. Filed April 15, 2015.

Ps did not timely file Federal income tax returns for 2007 and 2008. R issued a notice of deficiency to each P for 2008 and to P-H for 2007. Ps jointly petitioned this Court with respect to those three notices of deficiency. After Ps filed their joint petition, R issued a notice of deficiency to P-W for her 2007 tax year, and P-W then filed a separate petition with respect to that notice of deficiency. Thereafter, Ps filed joint Federal income tax returns for 2007 and 2008, claiming on the 2007 return an overpayment attributable to tax withholding by P-W's employer from P-W's 2007 wages. The parties have stipulated an overpayment for 2007 but dispute whether Ps are entitled to a refund of that overpayment.

Held: I.R.C. sec. 6512(b)(3)(b) requires the application in the instant case of the two-year lookback period in I.R.C. sec. 6511(b)(2)(B).

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[*2]Held,further, we lack jurisdiction under I.R.C. secs. 6511 and 6512 to order a refund of the 2007 overpayment because no portion of it was paid within the applicable lookback period.

Dan E. Butts and Patricia J. Butts, pro sese in docket No. 20656-11.

Patricia J. Butts, pro se in docket No. 1908-13.

Fred E. Green, Jr., for respondent.

MEMORANDUM FINDINGS OF FACT*81 AND OPINION

WHERRY, Judge: These consolidated cases are before the Court on

petitions for redetermination of deficiencies in income tax as well as additions to

tax for failure to file timely, failure to pay timely, and failure to pay estimated

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[*3] income tax that respondent determined for petitioners' 2007 and 2008 tax

years.1 We tried Mr. Butts' case, and Mrs. Butts' case was submitted under Rule

122.2

The parties filed a stipulation of settled issues (SOSI), a stipulation of facts

(with exhibits), and a supplemental stipulation of facts (with exhibits) in Mr.

Butts' case, and a first stipulation of facts in Mrs. Butts' case, the facts of each of

which are agreed to by the parties and incorporated herein by this reference. The

parties have stipulated that petitioners have an overpayment of $3,335 for the 2007

tax year, as claimed on their recently filed 2007 joint Federal income tax return

(2007 overpayment). The parties have further stipulated that the only issue

remaining for decision is whether petitioners are entitled to a refund of that

1The petition in docket No. 20656-11 (Mr. Butts' case) was properly addressed, U.S. postage prepaid, and timely mailed on August 29, 2011. That petition*82 was filed on September 7, 2011, and relates to petitioner Patricia Butts' 2008 tax year and to Dan Butts' 2007 and 2008 tax years. When that petition was filed, respondent had not yet issued a notice of deficiency for Patricia Butts' 2007 tax year. Respondent issued such a notice on October 16, 2012, and in response Mrs. Butts timely mailed a separate petition, which was filed on January 22, 2013, giving the Court jurisdiction over her 2007 tax year in a separate case, docket No. 1908-13 (Mrs. Butts' case).

2Unless otherwise indicated, section references are to the Internal Revenue Code of 1986, as amended and in effect for the years in issue, and all Rule references are to the Tax Court Rules of Practice and Procedure.

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[*4] overpayment, or whether sections 6511 and 6512 preclude the Court from

ordering this refund.3

3After we tried Mr. Butts' case, the parties submitted a joint status report in which they advised the Court that petitioners had filed joint Federal income tax returns for 2007 and 2008, that respondent generally agreed with the information reported on the returns, and that a basis for settlement had been reached. The parties thereafter filed the SOSI. Rather than directly address the*83 determined deficiencies and additions to tax, the SOSI stipulates, succinctly, that petitioners are entitled to a refund of a $6,248 overpayment for the 2008 tax year and that petitioners have (but are not necessarily entitled to a refund of) a $3,335 overpayment for the 2007 tax year. By stipulating overpayments for both tax years for petitioners jointly, respondent conceded the determined deficiencies and the failure to pay timely and failure to pay estimated income tax additions. The fate of the failure to file timely addition is less clear.

Both petitions contested respondent's determination of sec. 6651(a)(1) additions for failure to timely file 2007 Federal income tax returns. As a general rule, the Commissioner bears the burden of production and "must come forward with sufficient evidence indicating that it is appropriate to impose the relevant penalty."

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