Fayeghi v. Commissioner

1998 T.C. Memo. 297, 76 T.C.M. 286, 1998 Tax Ct. Memo LEXIS 299
CourtUnited States Tax Court
DecidedAugust 17, 1998
DocketTax Ct. Dkt. No. 457-98
StatusUnpublished

This text of 1998 T.C. Memo. 297 (Fayeghi 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
Fayeghi v. Commissioner, 1998 T.C. Memo. 297, 76 T.C.M. 286, 1998 Tax Ct. Memo LEXIS 299 (tax 1998).

Opinion

FARAMARZ FAYEGHI AND SHELLI FAYEGHI, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Fayeghi v. Commissioner
Tax Ct. Dkt. No. 457-98
United States Tax Court
T.C. Memo 1998-297; 1998 Tax Ct. Memo LEXIS 299; 76 T.C.M. (CCH) 286;
August 17, 1998, Filed

*299 An order will be entered denying petitioners' motion to restrain collection as supplemented.

Paul L. Dixon and Deborah Swann, for respondent.
Richard F. Armknecht III, for petitioners.
DAWSON, JUDGE.

DAWSON

MEMORANDUM OPINION

DAWSON, JUDGE: This case was assigned to Chief Special Trial Judge Peter J. Panuthos 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 Chief Special Trial Judge, which is set forth below.

OPINION*300 OF THE SPECIAL TRIAL JUDGE

PANUTHOS, CHIEF SPECIAL TRIAL JUDGE: This case is before the Court on petitioners' motion to restrain collection, as supplemented, filed pursuant to section 6213(a) and Rule 55. Because we conclude that we lack jurisdiction to restrain collection in this case, we will deny petitioners' motion.

BACKGROUND

On or about October 22, 1991, petitioners filed a joint Federal income tax return for 1990 in which they reported tax in the amount of $ 107,771, tax withholding in the amount of $ 828, and tax owing in the amount $ 106,943. Petitioners did not remit payment of the tax with their return.

On November 25, 1991, respondent assessed the following against petitioners with respect to their tax liability for 1990:

ItemAmount
Tax$ 107,771.00
Late payment penalty4,277.72
Interest6,767.67

On January 13, 1993, petitioners submitted to respondent an amended tax return for 1990 (Form 1040X) in which they claimed that their correct tax liability was $ 7,045, that they had paid $ 107,771, and that they were entitled to a refund in the amount of $ 100,726. Petitioners' claim that they had paid $ 107,771 in tax for 1990 was incorrect.

*301 Respondent did not accept petitioners' amended return. To the contrary, respondent treated petitioners' amended return as a claim for abatement with respect to $ 100,726 of the $ 107,771 amount that respondent had assessed on November 25, 1991.

On or about December 31, 1995, following an examination of petitioners' tax liability for 1990, respondent issued a so-called 30-day letter to petitioners proposing a deficiency in their tax liability for 1990 in the amount of $ 321,079. Specifically, respondent proposed to determine that petitioners failed to report $ 1,139,425 of ordinary income attributable to petitioners' investment in an S corporation known as GMF, Inc. An examination report attached to the 30-day letter states:

On 1/13/93 you filed claim form 1040X or an informal claim for an abatement of $ 100,726 for 1990. As a result of our examination, we have disallowed your claim. GMF, Inc. was owned by taxpayer in 1990 and was an S corporation at that time. The Internal Revenue Code has no provision for filing tax abatement claims. If you do not agree with our determination, you may, after paying the additional tax due, file an amended return or claim for refund. *302 There is no provision for appealing this unless the original balance due is paid. * * *

On April 15, 1996, and April 15, 1997, respondent applied overpayment credits of $ 5,923.05 and $ 6,666.69 associated with petitioners' tax returns for 1995 and 1996, respectively, to partially offset the assessment made against petitioners for 1990. After making an additional assessment against petitioners in the amount of $ 14 for collection costs, the assessment made against petitioners for 1990 totaled $ 105,412.65.

On September 10, 1997, respondent issued to petitioners a final notice of intent to levy listing $ 207,743.97 as the amount purportedly due from petitioners for the 1990 taxable year. The $ 207,743.97 amount is identified as $ 112,065.34 (assessed amount unpaid from prior notices) and $ 95,678.63 (additional penalty and interest).

On October 9, 1997, respondent issued a notice of deficiency to petitioners determining a deficiency in their Federal income tax for 1990 in the amount of $ 321,079, and an accuracy- related penalty pursuant to section 6662(a) in the amount of $ 64,216. The notice of deficiency is based on the proposed adjustments*303 that were outlined in respondent's 30-day letter described above.

Also on October 9, 1997, respondent issued a notice of deficiency to petitioners determining deficiencies in and additions to their Federal income taxes for 1991, 1992, and 1993.

On January 8, 1998, petitioners filed a timely petition for redetermination contesting the notices of deficiency for 1990, 1991, 1992, and 1993. 2

After respondent filed an answer to the petition, petitioners filed a motion to restrain collection. Relying on Powerstein v. Commissioner, 99 T.C. 466 (1992)

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Bluebook (online)
1998 T.C. Memo. 297, 76 T.C.M. 286, 1998 Tax Ct. Memo LEXIS 299, Counsel Stack Legal Research, https://law.counselstack.com/opinion/fayeghi-v-commissioner-tax-1998.