Cowan v. Comm'r

2006 T.C. Memo. 255, 92 T.C.M. 453, 2006 Tax Ct. Memo LEXIS 259
CourtUnited States Tax Court
DecidedNovember 27, 2006
DocketNo. 3539-06L
StatusUnpublished

This text of 2006 T.C. Memo. 255 (Cowan 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
Cowan v. Comm'r, 2006 T.C. Memo. 255, 92 T.C.M. 453, 2006 Tax Ct. Memo LEXIS 259 (tax 2006).

Opinion

KATHERINE COWAN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Cowan v. Comm'r
No. 3539-06L
United States Tax Court
T.C. Memo 2006-255; 2006 Tax Ct. Memo LEXIS 259; 92 T.C.M. (CCH) 453;
November 27, 2006, Filed
*259 Katherine Cowan, pro se.
Ruwe, Robert P.

ROBERT P. RUWE

MEMORANDUM OPINION

RUWE, Judge: This case is before the Court on petitioner's Motion for Leave to File Motion to Vacate Order of Dismissal for Lack of Jurisdiction (hereinafter referred to as petitioner's motion for leave). We must decide whether to grant petitioner's motion for leave. When the petition was filed, petitioner resided in Kilauea, Hawaii.

Background

On January 5, 2006, respondent issued to petitioner a Decision Letter Concerning Equivalent Hearing Under Section 6320 and/or 6330 of the Internal Revenue Code (decision letter) regarding proposed collection action for petitioner's tax years 1995, 1996, and 1997. 1 In the decision letter, respondent's Office of Appeals informed petitioner that her due process hearing request was not filed within the time prescribed under section 6320 and/or 6330. Respondent's Office of Appeals further informed petitioner that she received a hearing equivalent to a due process hearing except that there was no right to dispute a decision by the Appeals Office in court under sections 6320 and/or 6330. In the decision letter, the Appeals Office sustained*260 the proposed collection action. On January 31, 2006, petitioner sent to the Court a document, which states in relevant part:

Dear Tax Court Judge,

The Collection Due Process (hereafter "CDP") Hearing that I requested has been decided. I need your assistance regarding a Notice of Determination I received from the Internal Revenue Service for the tax year [sic] 1995, 1996 and 1997. The Internal Revenue Service (hereafter "IRS") DID NOT grant me a CDP Hearing, which I have requested. The Hearing they attempt [sic] to conduct was unfair and biased. I was not provided information that I requested from the hearing agent.

I think the IRS is wrong but I am not sure if I am doing this protest right. I told the IRS I didn't owe them anything and they still have not shown me any proof to support their claim.

Could you please write to me and let me know the procedure? I need the help of the Tax Court to clarify this matter. I am unclear as to what rules of procedure and evidence were to preside over my CDP Hearing. Although I asked many times I never*261 received any information on such procedures. The agent was no help at all. Now a whole new procedure is beginning and I am more confused. I am unsure of what to do from here. Will you please advise what my next steps are and if there is public council [sic] available for my assistance? When am I supposed to go to court over this? Would I receive the assistance of a public defender?

Thank you for reading my letter and trying to help me.

This document failed to comply with the Rules of the Court as to the form and content of a proper petition. Petitioner also failed to submit the required filing fee. Nevertheless, on February 7, 2006, the Court filed petitioner's document as an imperfect petition. By order dated February 22, 2006, the Court directed*262 petitioner to file a proper amended petition and to pay the filing fee on or before April 10, 2006. The order stated that if an amended petition and the filing fee were not received on or before April 10, 2006, the case would be dismissed. Petitioner failed to timely respond to the Court's order to file an amended petition or to pay the filing fee. On May 26, 2006, the Court entered an Order of Dismissal for Lack of Jurisdiction (order of dismissal).

On August 21, 2006, 87 days after the order of dismissal was entered, petitioner mailed to the Court two documents entitled "Request Permission to File Motion to Vacate Order of Dismissal for Lack of Jurisdiction" (motion for leave) and "Motion to Vacate Order of Dismissal for Lack of Jurisdiction" (motion to vacate). 2 The documents state in relevant part:

REQUEST PERMISSION TO FILE MOTION TO VACATE ORDER OF DISMISSAL FOR LACK OF JURISDICTION

PETITIONER respectfully requests permission from the Court to file this motion to vacate "ORDER OF DISMISSAL FOR LACK OF JURISDICTION" for the tax year/s 1995, 1996 and 1997, with Docket No. 3539-06L. PETITIONER also requests*263 leave from the court to accept PETITIONER's amended petition. PETITIONER desires to dispute the RESPONDENT's determination made with respect to PETITIONER's income taxes for the tax year.

PETITIONER will file Motion to Vacate Order of Dismissal for Lack of Jurisdiction concurrently with this Motion.

MOTION TO VACATE ORDER OF DISMISSAL FOR LACK OF JURISDICTION

PETITIONER respectfully requests that the Court vacate its Order of Dismissal for Lack of Jurisdiction with the Docket No. 3539-06L, for the Tax Years 1995, 1996 and 1997.

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Cite This Page — Counsel Stack

Bluebook (online)
2006 T.C. Memo. 255, 92 T.C.M. 453, 2006 Tax Ct. Memo LEXIS 259, Counsel Stack Legal Research, https://law.counselstack.com/opinion/cowan-v-commr-tax-2006.