Cooper v. Commissioner

1984 T.C. Memo. 329, 48 T.C.M. 385, 1984 Tax Ct. Memo LEXIS 345
Procedural entryThis page is a short order in Cooper v. Commissioner. Read the opinion of the Court — 88 T.C. 84
United States Tax Court·Decided June 27, 1984·No. Docket No. 27993-83.·Unpublished

Opinion

VERNON COOPER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Cooper v. Commissioner
Docket No. 27993-83.
United States Tax Court
T.C. Memo 1984-329; 1984 Tax Ct. Memo LEXIS 345; 48 T.C.M. (CCH) 385; T.C.M. (RIA) 84329;
June 27, 1984.
*345

Petitioner filed his petition in this action 114 days after the notice of deficiency was mailed to him at the Baltimore City Jail where he was incarcerated pending posting the requisite collateral for bail, but 89 days after the notice of deficiency was mailed to a residence address known to respondent. Held, the Baltimore City Jail, a temporary address of no definite duration, was not petitioner's last known address. Held further, the 90-day period for filing a petition with this Court under sec. 6213(a), I.R.C. 1954, as amended, commenced on the date the notice of deficiency was mailed to the residence address. Held further, respondent's motion to dismiss for lack of jurisdiction is denied.

Richard H. Champion, for the petitioner.
Dahil Dueno Goss, for the respondent.

CANTREL

MEMORANDUM OPINION

CANTREL, Special Trial Judge: On November 10, 1983, respondent filed a "Motion to Dismiss for Lack of Jurisdiction" on the ground that the petition was not filed within the statutory period prescribed by section 6213(a)1 or 7502. 2 On December 12, 1983, petitioner filed "Petitioner's Objections to Motion to Dismiss". At the hearing on respondent's motion held at Washington, D.C. *346 on March 21, 1984, counsel for the parties appeared and presented arguments and testimony was taken. Both parties submitted briefs and exhibits in support of their respective positions. In addition the parties have submitted two stipulations of facts.

On April 13, 1983, respondent assessed deficiencies and additions to tax for petitioner's taxable calendar years 1979 and 1980 under section 6861, 3 relating to jeopardy assessments. The Notice of Jeopardy Assessment and Right of Appeal was mailed to petitioner at 517 Shady Glen Drive, District Heights, Maryland, the address shown on the 1981 joint return filed by petitioner and his wife, Joann *347 Cooper (hereinafter "Shady Glen address"). 4 Pursuant to sections 6861(b) and 6212(a) respondent sent a notice of deficiency to petitioner on June 6, 1983, 54 days after the assessment was made. The total deficiencies and additions to tax under section 6653(b) reflected in the notice of deficiency were $2,394,687.70.

The notice of deficiency was mailed by certified mail to petitioner at 41 E. Eager Street, Baltimore City Jail, Section M 111, Baltimore, Maryland (hereinafter "Baltimore City Jail address"). The notice of deficiency was returned to respondent as undelivered on June 15, 1983, and he remailed the notice by regular mail to petitioner at 517 Shady Glen Dr., Capital Heights, Maryland. Again, the notice of deficiency was returned to respondent.

On June 24, 1983, R. Kenneth Mundy (hereinafter "Mundy"), petitioner's attorney, wrote to respondent to inquire about the notice of deficiency *348 mailed to petitioner for taxable calendar years 1979 and 1980 and the notice of deficiency issued to petitioner and Joann Cooper for taxable calendar year 1981. In this letter Mundy indicated that he understood that the notices of deficiency were mailed on June 6, 1983, and specifically requested that copies of the notices of deficiency be sent to him. Mundy enclosed a Power of Attorney with his letter. This power of attorney was signed by petitioner and Joann Cooper and listed their residence as 3115 Apple Road, N.E., Washington, D.C. (hereinafter "Apple Road address"). Respondent did not respond to Mundy but on July 1, 1983, remailed the notice of deficiency for 1979 and 1980 to petitioner at the Apple Road address. 5*349 The notice of deficiency was not returned to respondent after the July 1, 1983, mailing.

On June 6, 1983, respondent mailed a notice of deficiency for taxable calendar year 1981 to petitioner and a duplicate original of the notice of deficiency to Joann Cooper. These notices of deficiency were mailed by certified mail to petitioner at the Baltimore City Jail address and to Joann Cooper at the Shady Glen address. The notice of deficiency directed to petitioner at the Baltimore City Jail address was returned to respondent as undelivered on June 17, 1983, and remailed to petitioner by regular mail at the Shady Glen address on June 20, 1983. The notice of deficiency was not returned to respondent after remailing. In addition, the duplicate original notice of deficiency mailed to Joann Cooper at the Shady Glen address was received and signed for by petitioner on June 22, 1983. Prior to receipt by petitioner the United States Postal Service had attempted delivery on June 9, 1983, and June 14, 1983. The notice of *350 deficiency would have been returned to respondent if unclaimed on June 24, 1983. A timely petition was filed for taxable calendar year 1981.

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Cooper v. Commissioner, 1984 T.C. Memo. 329, 48 T.C.M. 385, 1984 Tax Ct. Memo LEXIS 345 (tax 1984).

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