Erhard v. Commissioner

1994 T.C. Memo. 344, 68 T.C.M. 192, 1994 Tax Ct. Memo LEXIS 340
United States Tax Court·Decided July 25, 1994·No. Docket No. 25656-93·Unpublished·Cited by 12 cases

Opinion

ELLEN V. ERHARD, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Erhard v. Commissioner
Docket No. 25656-93
United States Tax Court
T.C. Memo 1994-344; 1994 Tax Ct. Memo LEXIS 340; 68 T.C.M. (CCH) 192;
July 25, 1994, Filed
*340 For petitioner: Barbara T. Kaplan, Michael I. Saltzman, and Kevin J. Liss.
For respondent: Michael E. Hara and Kathryn K. Vetter.
DAWSON

DAWSON

MEMORANDUM OPINION

DAWSON, Judge: This case was assigned to Special Trial Judge Robert N. Armen, Jr. pursuant to the provisions of section 7443A(b)(4) and Rules 180, 181, and 183. 1 The Court agrees with and adopts the opinion of the Special Trial Judge, which is set forth below.

OPINION OF THE SPECIAL TRIAL JUDGE

ARMEN, Special Trial Judge: This matter is before the Court on respondent's Motion to Dismiss for Lack of Jurisdiction, filed April 6, 1994, and petitioner's cross Motion to Dismiss for Lack of Jurisdiction filed April 28, 1994. While respondent moves for dismissal on the ground that the petition was not filed within the 90-day period prescribed in section 6213(a), petitioner asserts that jurisdiction is lacking*341 because respondent failed to issue a valid notice of deficiency. The focus of both motions is the notice of deficiency issued by respondent on October 15, 1992, for the taxable year 1988.

Background

Ellen V. Erhard (petitioner) and her then husband, Werner Erhard, filed joint Federal income tax returns for the taxable years 1984, 1985, 1986, 1987, and 1988. On May 14, 1990, petitioner executed a limited power of attorney appointing Werner Erhard as her attorney-in-fact and authorizing him to act on her behalf with respect to an ongoing Internal Revenue Service examination of their Federal income tax returns filed for the taxable years 1984, 1985, and 1986.

On October 16, 1991, Werner Erhard executed a power of attorney (Form 2848) for both himself and on behalf of petitioner covering the taxable years 1984, 1985, 1986, and 1987. 2 The power of attorney, submitted to the Internal Revenue Service on October 24, 1991, lists petitioner's address as:

c/o Michael Saltzman, Esq., Baker & McKenzie, 805 Third Avenue, New York, NY 10022

The representatives listed on the power of attorney include three attorneys: Arthur Schreiber, Michael Saltzman, and Barbara Kaplan.

*342 By letter dated October 28, 1991, Revenue Agent Darline Keung forwarded an examination report concerning the Erhards' tax liability for 1987 and 1988 to the Erhards in care of Michael Saltzman and to Arthur Schreiber.

By letter dated November 1, 1991, Arthur Schreiber submitted a revised power of attorney to Revenue Agent Keung for the purpose of clarifying that the power of attorney previously submitted to the Internal Revenue Service on October 24, 1991, covered both Werner Erhard and petitioner. In a letter dated November 1, 1991, from Arthur Schreiber to Richard Greene, 3 Schreiber acknowledges that the power of attorney does not cover the taxable year 1988, explaining that the 1988 year was added to the Erhard audit after the original power of attorney was executed. Schreiber indicated to Greene that he would prepare an additional power of attorney covering the 1988 taxable year and forward a copy to Greene upon its submission to Revenue Agent Keung. 4

*343 On February 3, 1992, Revenue Agent Keung mailed a 30-day letter to the Erhards in care of Michael Saltzman proposing deficiencies in the Erhards' Federal income taxes for the taxable years 1987 and 1988. Copies of these materials were also forwarded to Arthur Schreiber.

On February 27, 1992, the District Director (San Francisco, California) mailed a 30-day letter to the Erhards in care of Michael Saltzman proposing deficiencies in the Erhards' Federal income taxes for the taxable years 1984, 1985, and 1986, and requesting that the Erhards execute a consent to extend the period of limitations on assessment with respect to those taxable years. Copies of these materials were also forwarded to Arthur Schreiber.

On or about March 27, 1992, Michael Saltzman submitted a written protest to the Internal Revenue Service with respect to the proposed deficiencies for the taxable years 1984, 1985, 1986, 1987, and 1988.

By letter dated April 10, 1992, from the District Director to Michael Saltzman, the District Director requested that the Erhards execute a consent to extend the period of limitations on assessment with respect to the taxable years 1985, 1986, 1987, and 1988. Copies of these*344 materials were also forwarded to Arthur Schreiber. While the record indicates that Michael Saltzman forwarded an executed consent to extend the period of limitations to the District Director on or about April 16, 1992, the record does not reveal the particular taxable years involved.

On October 15, 1992, respondent issued by certified mail a joint notice of deficiency to the Erhards determining a deficiency and an addition to tax, and additional interest with respect to their Federal income tax for the 1988 taxable year as follows:

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Erhard v. Commissioner, 1994 T.C. Memo. 344, 68 T.C.M. 192, 1994 Tax Ct. Memo LEXIS 340 (tax 1994).

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