Del-Co W. v. Comm'r

2015 T.C. Memo. 142, 110 T.C.M. 119, 2015 Tax Ct. Memo LEXIS 150
CourtUnited States Tax Court
DecidedAugust 5, 2015
DocketDocket No. 3414-14L
StatusUnpublished
Cited by8 cases

This text of 2015 T.C. Memo. 142 (Del-Co W. 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
Del-Co W. v. Comm'r, 2015 T.C. Memo. 142, 110 T.C.M. 119, 2015 Tax Ct. Memo LEXIS 150 (tax 2015).

Opinion

DEL-CO WESTERN, A UTAH CORPORATION, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Del-Co W. v. Comm'r
Docket No. 3414-14L
United States Tax Court
T.C. Memo 2015-142; 2015 Tax Ct. Memo LEXIS 150; 110 T.C.M. (CCH) 119;
August 5, 2015, Filed
Del-Co Western v. Comm'r, 2013 U.S. Tax Ct. LEXIS 47 (T.C., Feb. 14, 2013)

An appropriate order and decision will be entered.

*150 Paul W. Jones, for petitioner.
Mark Hale Howard, for respondent.
LAUBER, Judge.

LAUBER
MEMORANDUM OPINION

LAUBER, Judge: In this collection due process (CDP) case, petitioner timely sought review pursuant to section 6330(d)(1)1 of a notice of determination *143 concerning collection action for tax year 2004. Pending before the Court is respondent's motion to dismiss on grounds of mootness. We shall recharacterize respondent's filing as a motion for summary judgment and grant it as such.

Background

JaNean Del'Andrae served as the chief financial officer of petitioner, Del-Co Western (Del-Co or petitioner), and is married to Del-Co's principal shareholder. On February 16, 2011, she was indicted in the U.S. District Court for the District of Utah (District Court) on three counts of tax evasion. Seesec. 7201. The first two counts involved evasion of Del-Co's corporate income tax liabilities for 2004 and 2005; the third count involved evasion of tax required to be shown on the Form 1040, U.S. Individual Income Tax Return, that Del'Andrae*151 filed jointly with her husband for 2005. On April 18, 2012, Del'Andrae pleaded guilty to count one, involving evasion of Del-Co's corporate income tax liability for 2004.

In connection with her plea, Del'Andrae agreed to pay restitution of $88,152.50 to the Internal Revenue Service (IRS) on account of Del-Co's 2004 and 2005 tax liabilities. Of this sum she agreed that $49,845.37 was payable on account of Del-Co's 2004 tax liability and that $38,307.13 was payable on account *144 of Del-Co's 2005 tax liability. She also agreed to pay additional restitution, to be determined at sentencing, on account of her 2005 joint income tax liability.

On July 11, 2012, the District Court entered judgment against Del'Andrae, ordering her to pay total restitution of $136,509.50. This amount comprised $88,152.50 on account of Del-Co's 2004 and 2005 tax liabilities, as set forth above, plus $48,357 of restitution for evasion of her 2005 joint income tax liability. Del'Andrae wrote a check for $136,509.50, dated July 10, 2012, and drawn on Del-Co's bank account, in payment of the restitution ordered by the District Court.

On March 25, 2011, the IRS issued Del-Co a notice of deficiency for 2004, and Del-Co timely*152 petitioned this Court. On February 14, 2013, the Court entered a stipulated decision determining against Del-Co for 2004 a deficiency of $70,021 and penalties of $44,145, for a total liability of $114,166. Del-Co W. v. Commissioner, T.C. Dkt. No. 13417-11, 2013 U.S. Tax Ct. LEXIS 47 (Feb. 14, 2013). When Del-Co failed to pay this liability after notice and demand, the IRS sent Del-Co a Final Notice of Intent to Levy and Notice of Your Right to a Hearing. Del-Co timely requested a CDP hearing, stating the following reason as the basis for its hearing request:

The taxpayer paid $136,509.50 on 7/10/12 to the * * * [District Court] to settle a matter with IRS CID. * * * This payment needs to be applied and for some reason has not been. Many attempts have been made to find the payment in the IRS system. We do know that the check has been cashed. The documentation on the check is *145 attached. So no lien, levy or collection effort should continue against the taxpayer.

A CDP hearing was held, but petitioner was unable to satisfy the settlement officer (SO) that any portion of its $114,166 tax liability for 2004 had been paid. Petitioner raised no other issues. On February 7, 2014, the IRS issued Del-Co a notice of determination*153 sustaining the levy. Del-Co timely petitioned this Court.

After this CDP case was docketed, respondent credited $49,845.37 to petitioner's 2004 account. This was the full amount of the credit available from the restitution payment that Del'Andrae had made on behalf of Del-Co for 2004. Respondent contends that petitioner has now received the full relief it requested for 2004, the sole tax year at issue in this case, and hence that there is no remaining controversy to sustain the Court's jurisdiction.

Petitioner opposes the motion to dismiss, contending that the $38,307.13 restitution payment that Del'Andrae made on behalf of Del-Co for 2005 should also be applied toward Del-Co's liability for 2004. Petitioner bases this contention on the assertion that the section 6501(a) period of limitations on assessment against it for 2005 has expired, with the supposed result that the restitution payment Del'Andrae made toward Del-Co's 2005 tax liability has given rise to an overpayment or credit in the amount of $38,307.13.

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Bluebook (online)
2015 T.C. Memo. 142, 110 T.C.M. 119, 2015 Tax Ct. Memo LEXIS 150, Counsel Stack Legal Research, https://law.counselstack.com/opinion/del-co-w-v-commr-tax-2015.