Escalera v. Commissioner

1979 T.C. Memo. 307, 38 T.C.M. 1194, 1979 Tax Ct. Memo LEXIS 214
CourtUnited States Tax Court
DecidedAugust 13, 1979
DocketDocket No. 9711-77.
StatusUnpublished

This text of 1979 T.C. Memo. 307 (Escalera 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
Escalera v. Commissioner, 1979 T.C. Memo. 307, 38 T.C.M. 1194, 1979 Tax Ct. Memo LEXIS 214 (tax 1979).

Opinion

RAUL G. ESCALERA, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Escalera v. Commissioner
Docket No. 9711-77.
United States Tax Court
T.C. Memo 1979-307; 1979 Tax Ct. Memo LEXIS 214; 38 T.C.M. (CCH) 1194; T.C.M. (RIA) 79307;
August 13, 1979, Filed
Ruth Edry Salek, for the respondent.

DAWSON

MEMORANDUM OPINION

DAWSON, Judge: This matter is before the Court on respondent's motion, filed April 30, 1979, to dismiss this case for lack of jurisdiction on the ground that the petition herein was not filed within the time prescribed by section 6213(a), Internal Revenue Code*215 of 1954. 1 Petitioner filed on May 25, 1979, a document entitled "Petition for Motion of Written Statement and Position and Dismissal for Lack of Jurisdiction." Petitioner asserts that the notice of deficiency was not mailed to him at his "last known address" as required by section 6212(b)(1). A hearing on the respective motions of the parties was held on June 11, 1979, in Los Angeles, California. The petitioner was not present but he filed a statement in lieu of attendance. Respondent's counsel appeared, offered the testimony of three witnesses, submitted two exhibits, and filed a memorandum of points and authorities.

The pertinent facts may be summarized as follows: Petitioner, a previously convicted narcotics violator, was released from prison in late March 1973, and began residing at 615 Grace, Apt. D, Bakersfield, California. On or about August 10, 1973, he was again arrested for the possession and sale of narcotics and was placed in custody in the Bakersfield County Jail by the Kern County Sheriff's Office. At that time*216 he was contacted by revenue officers and $2,871 of his funds were impounded. On August 10, 1973, a termination letter for the year 1973, signed by F.S. Schmidt, District Director of Internal Revenue, Los Angeles, California, was mailed to petitioner at 615 Grace, Apt. D, Bakersfield, California 93305, the address given to the Internal Revenue Service by the United States Department of Justice, Bureau of Narcotics and Dangerous Drugs, in a Personal History Report dated July 12, 1973. Since the petitioner had filed no Federal income tax returns for the years 1971 and 1972, the Commissioner relied on the current address provided by the arresting agencies. The termination letter, bearing that address, and the immediate assessment were delivered in person to the petitioner at the Bakersfield County Jail by the revenue officers. Petitioner did not inform them that the address was incorrect, and he did not at that time, or at any future time, notify the Internal Revenue Service of any change of address.

The statutory notice of deficiency covering the year 1973 was dated November 20, 1974, and was mailed to the petitioner at 615 Grace, Apt. D, Bakersfield, California. The notice determined*217 a deficiency of $84,733 for the year 1973 and an addition to tax under section 6651(a) of $20,965.50. The notice was returned to the Internal Revenue Service with the notation "Moved, left no add-ess." The 90-day period for filing a timely petition with this Court expired on February 18, 1975. A petition was filed with the Court on September 19, 1977, which was two years, nine months and thirty days after the notice of deficiency was mailed. It is therefore clear that the petition was not timely filed if respondent mailed the notice of deficiency to the petitioner's "last known address" under the provisions of section 6212(b)(1). Thus, the central issue here is whether the notice was sent to the last known address of the petitioner. Respondent contends that it was; and petitioner contends that it was not. We agree with the respondent.

On this record we think the respondent has complied with the requirements of section 6212(b)(1) by properly mailing the deficiency notice to the petitioner's last known address. The law is succinctly stated in Alta Sierra Vista, Inc. v. Commissioner,62 T.C. 367, 374 (1974), as follows:

Although the Code does not address itself*218 to that which constitutes a taxpayer's last known address, we have consistently held that the last known address is the taxpayer's last permanent address or legal residence known by the Commissioner or the last known temporary address of a definite duration to which the taxpayer has directed the Commissioner to send all communications. Daniel Lifter,59 T.C. 818, 820-821; Culver M. Budlong,58 T.C. 850, 852; Harvey L. McCormick,55 T.C. 138, 141. See Gregory v. United States,57 F. Supp. 962, 973 (Ct. Cl.). The relevant inquiry pertains to the Commissioner's knowledge rather than to what may in fact be the taxpayer's most current address in use. Administrative realities demand that the burden fall upon the taxpayer to keep the Commissioner informed as to his proper address. Cohen v. United States,

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Cite This Page — Counsel Stack

Bluebook (online)
1979 T.C. Memo. 307, 38 T.C.M. 1194, 1979 Tax Ct. Memo LEXIS 214, Counsel Stack Legal Research, https://law.counselstack.com/opinion/escalera-v-commissioner-tax-1979.