DEL'GIUDICE v. COMMISSIONER

2006 T.C. Summary Opinion 112, 2006 Tax Ct. Summary LEXIS 14
CourtUnited States Tax Court
DecidedJuly 17, 2006
DocketNo. 14713-05S
StatusUnpublished

This text of 2006 T.C. Summary Opinion 112 (DEL'GIUDICE v. COMMISSIONER) 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'GIUDICE v. COMMISSIONER, 2006 T.C. Summary Opinion 112, 2006 Tax Ct. Summary LEXIS 14 (tax 2006).

Opinion

ROBERT CONDE DEL'GIUDICE, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
DEL'GIUDICE v. COMMISSIONER
No. 14713-05S
United States Tax Court
T.C. Summary Opinion 2006-112; 2006 Tax Ct. Summary LEXIS 14;
July 17, 2006, Filed

*14 PURSUANT TO INTERNAL REVENUE CODE SECTION 7463(b), THIS OPINION MAY NOT BE TREATED AS PRECEDENT FOR ANY OTHER CASE.

Robert Conde del'Giudice, pro se.
Kim-Khanh Thi Nguyen, for respondent.
Dean, John F.

Dean, John F.

DEAN, Special Trial Judge: This case was heard pursuant to the provisions of section 7463 of the Internal Revenue Code in effect at the time the petition was filed. Unless otherwise indicated, subsequent section references are to the Internal Revenue Code of 1986, as amended. The decision to be entered is not reviewable by any other court, and this opinion should not be cited as authority.

The petition in this case was filed in response to a Notice of Determination Concerning Collection Action(s) Under Section 6320 and/or 6330 (notice of determination). Pursuant to sections 6320(c) and 6330(d), petitioner seeks review of respondent's determination to proceed with collection of his tax liability for 1999. The issue for decision is whether the Appeals officer abused his discretion in sustaining a proposed levy to collect petitioner's unpaid 1999 tax liability.

Background

The stipulation of facts and the exhibits received into evidence*15 are incorporated herein by reference. At the time the petition in this case was filed, petitioner resided in Buena Park, California.

Petitioner, a former software system engineer, is a teacher of mathematics and computer technology in the Los Angeles public school system. In April of 2002 he married his second wife. Petitioner did not pay Federal withholding taxes on his income for 1999. He did not file his Federal income tax return for 1999 until February 23, 2004.

On May 22, 2004, respondent issued to petitioner a notice of intent to levy regarding his unpaid tax liability for 1999. Petitioner filed a Form 12153, Request for a Collection Due Process Hearing, dated June 12, 2004, as to 1999, 2000, and 2001. Respondent had sent to petitioner a notice of Federal tax lien filing (NFTLF) with respect to 1999 and 2001 on April 28, 2004. As petitioner's request for a hearing was not timely filed as to the NFTLF for 1999 and 2001, he received only an equivalent hearing on those issues. Petitioner has accumulated tax liabilities of more than $ 24,000 for 1999, 2000, 2001 and 2003. The record does not reflect any activity by respondent relative to 2003.

On the same date that petitioner*16 filed his Form 12153, respondent received from petitioner a letter stating that he had submitted a Form 656, Offer-in-Compromise (OIC), on account of doubt as to collectibility, for 1999, 2000, and 2001. The OIC, received on January 12, 2004, was returned. Petitioner resubmitted his OIC along with a Form 433-A, Collection Information Statement for Wage Earners and Self-Employed Individuals, both dated May 29, 2004. Petitioner later supplemented his OIC with additional information attached to an "Amended/Revised" OIC signed and dated July 6, 2004. The amended/revised OIC included 2003 as well as 1999, 2000, and 2001. In November of 2004, petitioner sent to respondent a letter enclosing an "updated" Form 433-A with attachments.

All of petitioner's OICs requested a "Short-Term Deferred Payment Offer", which must be paid more than 90 days, but within 24 months, from acceptance. Petitioner offered to pay $ 2,500 on his outstanding tax liabilities in all three versions of his OIC.

The Appeals officer accepted, as presented on the "updated" Form 433-A, petitioner's total joint monthly income amount of $ 3,832. He accepted as necessary joint monthly "living expenses" the amounts claimed*17 or substantiated by petitioner for "Food, Clothing and Miscellaneous, Housing and Utilities, Transportation, Health Care, Taxes, and Court Ordered Payments" to his former wife. The Appeals officer did not accept as necessary living expenses, unverified "other" expenses of $ 200, and he allowed only $ 160 of claimed credit card expenses of $ 200. The allowed monthly joint necessary living expenses amounted to $ 3,440, or $ 392 less than monthly income.

The Appeals officer reviewing the case informed petitioner that he was going to recommend that the levy action be sustained because petitioner was able to pay more toward his tax liabilities than he had offered. Petitioner was invited to submit a new OIC if his financial conditions were to change, and he was admonished to file with remittance a Federal income tax return for 2004, which at that time remained unfiled. The Appeals team manager, in a separate letter, informed petitioner that his OIC was rejected because "an amount larger than the OIC appears to be collectible. We do not have authority to accept an OIC in these circumstances."

Discussion

Offer-in-Compromise

Petitioner's only argument is that it was an abuse of discretion*18 for respondent to decline to accept his OIC predicated on doubt as to collectibility.

Under

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2006 T.C. Summary Opinion 112, 2006 Tax Ct. Summary LEXIS 14, Counsel Stack Legal Research, https://law.counselstack.com/opinion/delgiudice-v-commissioner-tax-2006.