Erickson v. Commissioner

2000 T.C. Memo. 209, 80 T.C.M. 28, 2000 Tax Ct. Memo LEXIS 248
CourtUnited States Tax Court
DecidedJuly 7, 2000
DocketNo. 12436-99
StatusUnpublished

This text of 2000 T.C. Memo. 209 (Erickson 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
Erickson v. Commissioner, 2000 T.C. Memo. 209, 80 T.C.M. 28, 2000 Tax Ct. Memo LEXIS 248 (tax 2000).

Opinion

JOHN L. & LISA K. ERICKSON, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Erickson v. Commissioner
No. 12436-99
United States Tax Court
T.C. Memo 2000-209; 2000 Tax Ct. Memo LEXIS 248; 80 T.C.M. (CCH) 28; T.C.M. (RIA) 53946;
July 7, 2000, Filed

*248 An order will be entered granting respondent's Motion to Dismiss for Lack of Jurisdiction.

Todd R. Cannon, for petitioners.
Melinda G. Williams, Richard W. Kennedy, and Gregory M. Hahn, for respondent.
Cohen, Mary Ann

COHEN

MEMORANDUM OPINION

COHEN, JUDGE: This case is before the Court on respondent's Motion to Dismiss for Lack of Jurisdiction on the ground that the petition was not filed within the 90-day period prescribed in section 6213(a). Unless otherwise indicated, all section references are to the Internal Revenue Code in effect for the year in issue, and all Rule references are to the Tax Court Rules of Practice and Procedure.

BACKGROUND

On or about March 12, 1999, petitioners filed with the Internal Revenue Service (IRS) a Form 2848, Power of Attorney and Declaration of Representative, appointing Lanny R. White (White) as their attorney-in-fact regarding their Federal income tax liability for the taxable years 1995 and 1996. The Form 2848 listed petitioners' address as S. 6107 Lee Court, Spokane, Washington (the Spokane address), and White's address as 5295 S. Commerce Drive, Suite 310, Salt Lake City, Utah. Petitioners' signatures on the Form 2848*249 were dated December 16, 1998. (There is no explanation in the record for the delay in submitting the Form 2848 to the IRS.)

Paragraph 7 of the Form 2848 stated in pertinent part that "Original notices and other written communications will be sent to you and a copy to the first representative listed in line 2 unless you check one or more of the boxes below." Petitioners checked box 7a on the Form 2848 which stated that all original notices would be sent to petitioners' attorney-in-fact.

On April 8, 1999, respondent mailed a notice of deficiency to petitioners determining a deficiency in their Federal income tax for 1995 in the amount of $ 175,693.00 and an accuracy-related penalty pursuant to section 6662(a) in the amount of $ 35,138.60. The notice of deficiency included an explanation of the adjustments which stated that respondent had disregarded petitioners' "Personal Dental Trust" as a sham and increased petitioners' business income in an amount equivalent to the net income of the trust.

The notice of deficiency correctly stated that the last day to file a petition with the Tax Court was July 7, 1999. Respondent mailed the notice of deficiency to petitioners at the Spokane address. *250 Respondent did not mail a copy of the notice of deficiency to White. Petitioners admit that they received the notice of deficiency on or about April 12, 1999. Petitioners did not attempt to contact White or take any other steps in response to the notice of deficiency.

White was aware that the 3-year period of limitations on assessments respecting petitioners' 1995 tax year was due to expire on April 15, 1999. Although White was expecting to receive a copy of the notice of deficiency, he waited until early July to contact petitioners to ask whether they had received the notice. When petitioners informed White that they had received the notice of deficiency but had misplaced it, White attempted to contact the revenue agent who had conducted petitioners' examination to obtain information regarding the notice. He was told that the revenue agent was away from the office. The revenue agent contacted White a week later and informed him that it was too late to file the petition.

The petition in this case, dated July 8, 1999, arrived at the Court on July 14, 1999, in an envelope bearing a United States Postal Service postmark date of July 8, 1999. At the time the petition was filed, petitioners*251 resided in Spokane, Washington. The petition disputed "all" amounts in the notice of deficiency. In lieu of attaching a copy of the statutory notice, petitioners attached a statement that "We have requested a copy of the 'NOTICE OF DEFICIENCY' from the Internal Revenue Service. We will mail to the Court within 10 days."

Respondent filed a Motion to Dismiss for Lack of Jurisdiction asserting that the petition was not timely filed. Petitioners filed an objection to respondent's motion to dismiss asserting that the motion should be denied because respondent failed to mail the notice of deficiency to White.

This matter was called for hearing at the Court's motions session held in Washington, D.C., and for an evidentiary hearing in Spokane, Washington. Petitioner Lisa K. Erickson and White testified at the evidentiary hearing.

DISCUSSION

The Court's jurisdiction to redetermine a deficiency depends upon the issuance of a valid notice of deficiency and a timely filed petition. See Rule 13(a), (c); Monge v. Commissioner, 93 T.C. 22, 27 (1989); Normac, Inc. & Normac Intl. v. Commissioner, 90 T.C. 142, 147 (1988). Section 6212(a) expressly authorizes the Commissioner, *252 after determining a deficiency, to send a notice of deficiency to the taxpayer by certified or registered mail.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

McCormick v. Commissioner
55 T.C. 138 (U.S. Tax Court, 1970)
Reddock v. Commissioner
72 T.C. 21 (U.S. Tax Court, 1979)
Looper v. Commissioner
73 T.C. 690 (U.S. Tax Court, 1980)
Frieling v. Commissioner
81 T.C. No. 4 (U.S. Tax Court, 1983)
Normac, Inc. v. Commissioner
90 T.C. No. 11 (U.S. Tax Court, 1988)
Abeles v. Commissioner
91 T.C. No. 65 (U.S. Tax Court, 1988)
Monge v. Commissioner
93 T.C. No. 4 (U.S. Tax Court, 1989)
Patmon & Young Professional Corp. v. Commissioner
1993 T.C. Memo. 143 (U.S. Tax Court, 1993)

Cite This Page — Counsel Stack

Bluebook (online)
2000 T.C. Memo. 209, 80 T.C.M. 28, 2000 Tax Ct. Memo LEXIS 248, Counsel Stack Legal Research, https://law.counselstack.com/opinion/erickson-v-commissioner-tax-2000.