Carpentier v. Comm'r

2013 T.C. Memo. 160, 106 T.C.M. 2, 2013 Tax Ct. Memo LEXIS 162
CourtUnited States Tax Court
DecidedJuly 1, 2013
DocketDocket No. 14718-12
StatusUnpublished
Cited by1 cases

This text of 2013 T.C. Memo. 160 (Carpentier v. Comm'r) is published on Counsel Stack Legal Research, covering United States Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Carpentier v. Comm'r, 2013 T.C. Memo. 160, 106 T.C.M. 2, 2013 Tax Ct. Memo LEXIS 162 (tax 2013).

Opinion

MARIE GAYLE SAMUELSON CARPENTIER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Carpentier v. Comm'r
Docket No. 14718-12 1
United States Tax Court
T.C. Memo 2013-160; 2013 Tax Ct. Memo LEXIS 162; 106 T.C.M. (CCH) 2;
July 1, 2013, Filed
*162

An appropriate decision will be entered.

Marie Gayle Samuelson Carpentier, Pro se.
Sarah E. Sexton, for respondent.
GERBER, Judge.

GERBER
*161 MEMORANDUM FINDINGS OF FACT AND OPINION

GERBER, Judge: Petitioner seeks our review, pursuant to section 6404(e), 2 of respondent's final determination denying her request for abatement of interest on her 2004 income tax liability. For purposes of trial respondent has conceded that petitioner is entitled to an abatement of interest on her 2004 income tax liability. The remaining issues for our consideration are: (1) whether the Court has jurisdiction to consider the effect that respondent's delay regarding the 2004 examination had upon interest on petitioner's 2005 tax liability; and (2) whether respondent's interest computation is correct.

FINDINGS OF FACT 3

Petitioner resided in California when her petition was filed. Petitioner's husband, Jack Carpentier (now deceased), operated a yacht charter company, leasing his 51-foot Bluewater Coastal Cruiser for use in the San Francisco, California, area. Late *163 in 2003 Mr. Carpentier was diagnosed with Parkinson's disease, and his yachting business was sold during 2004. The Carpentiers used *162 TurboTax to prepare their 2004 tax return. The information concerning the sale of the yacht and the yachting business was entered into the TurboTax program and reflected on the 2004 return.

Petitioner and her husband's 2004 joint Federal income tax return was selected for audit, and they attended their first meeting with respondent's examining agent (agent) during August 2006. During the meeting it became clear to the Carpentiers that the information entered into the TurboTax program with respect to the sale of the yacht was in error as to the handling of depreciation. They offered to amend their return, the agent declined, and instead he conducted an intensive three-hour examination. The rapport between the Carpentiers and the agent deteriorated throughout the meeting and concluded with the agent's providing the Carpentiers with a list of information and documents needed to complete the examination.

In the months following the initial meeting, the agent continued to make requests for additional information, and by October 2006 the Carpentiers were dissatisfied *164 with the agent's approach and skeptical of his intentions. They requested that a different agent be assigned to their 2004 examination, but no response from respondent was forthcoming. During November 2006 the Carpentiers received additional requests for information from the agent. In *163 November 2006 Mr. Carpentier was hospitalized, and because of his critical condition, they requested additional time to provide the information; however, their request was denied.

The Carpentiers then contacted the Taxpayer Advocate's Office. After that they did not hear from the agent, and again they requested and were denied a reassignment of their examination to another agent. At this point the Carpentiers requested that the agent close the examination and allow them to proceed to Appeals, but the agent refused. The delay continued for about one year, and on December 22, 2007, Mr. Carpentier had a stroke and died in the hospital.

Petitioner made additional requests for a new examiner in early 2008, which were also denied. After that petitioner hired a tax professional to address any issues remaining on the 2004 return and to prepare an amended 2004 return. She was advised by the agent that any amended *165 return had to be processed through him. Because of the deteriorated relationship with the agent and because he had originally rejected petitioner's attempt to file an amended return, petitioner filed the amended return with the Fresno, California, Internal Revenue Service Center, where her original 2004 return had been filed. The Fresno Service Center sent the amended return to the agent.

*164 The issues raised during the 2004 examination also affected petitioner's 2005 tax return. Because of the delay encountered during the 2004 examination petitioner was not able to amend the 2005 return, and as a result she incurred interest on the resulting 2005 income tax liability.

During 2009 a notice of deficiency was issued to petitioner for her 2004 tax year. She filed a petition which the Court docketed as No. 4374-09S. Respondent determined a $26,824 income tax deficiency and an accuracy-related penalty of $5,364.80. Early in 2010 petitioner met with an Appeals officer. A settlement of the 2004 tax deficiency was reached, and the Court entered an agreed decision on February 26, 2010, thereby concluding petitioner's deficiency proceeding. The parties agreed that there was no income tax deficiency *166 for 2004 but that there was an accuracy-related penalty of $3,052.80.

Petitioner requested an abatement of interest on the 2004 income tax deficiency. On December 2, 2011, respondent denied her request, and on December 15, 2011, petitioner sought Appeals review of the denial.

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Related

Carpentier v. Comm'r
2014 T.C. Memo. 75 (U.S. Tax Court, 2014)

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Bluebook (online)
2013 T.C. Memo. 160, 106 T.C.M. 2, 2013 Tax Ct. Memo LEXIS 162, Counsel Stack Legal Research, https://law.counselstack.com/opinion/carpentier-v-commr-tax-2013.