Fernandez v. Comm'r

2008 T.C. Memo. 210, 96 T.C.M. 140, 2008 Tax Ct. Memo LEXIS 206
CourtUnited States Tax Court
DecidedSeptember 3, 2008
DocketNo. 15538-07L
StatusUnpublished
Cited by12 cases

This text of 2008 T.C. Memo. 210 (Fernandez v. Comm'r) 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
Fernandez v. Comm'r, 2008 T.C. Memo. 210, 96 T.C.M. 140, 2008 Tax Ct. Memo LEXIS 206 (tax 2008).

Opinion

LUCIANO FERNANDEZ, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Fernandez v. Comm'r
No. 15538-07L
United States Tax Court
T.C. Memo 2008-210; 2008 Tax Ct. Memo LEXIS 206; 96 T.C.M. (CCH) 140;
September 3, 2008, Filed
*206
Luciano Fernandez, Pro se.
Vivian N. Rodriguez, for respondent.
Cohen, Mary Ann

MARY ANN COHEN

MEMORANDUM OPINION

COHEN, Judge: This action was commenced in response to a Notice of Determination Concerning Collection Action(s) Under Section 6320 (Lien) of the Internal Revenue Code (notice of determination) with respect to petitioner's Federal income tax liabilities for 2000, 2003, and 2004 and unpaid trust fund recovery penalties under section 6672 for periods ended June 30, 2000, September 30, 2000, December 31, 2000, March 31, 2001, September 30, 2001, December 31, 2001, and March 31, 2002. The issue for decision is whether the Appeals officer abused his discretion in rejecting petitioner's offer-in-compromise and sustaining the lien actions. Unless otherwise indicated, all section references are to the Internal Revenue Code, and all Rule references are to the Tax Court Rules of Practice and Procedure.

BACKGROUND

This case was submitted fully stipulated under Rule 122. The stipulated facts are incorporated as our findings by this reference. Petitioner resided in Florida at the time that he filed his petition.

Federal income tax liabilities arose because petitioner failed to pay in full the *207 tax reported on his returns for 2000, 2003, and 2004. Petitioner also failed to pay trust fund recovery penalties under section 6672 for periods ended June 30, 2000, September 30, 2000, December 31, 2000, March 31, 2001, September 30, 2001, December 31, 2001, and March 31, 2002.

On July 12, 2006, the Internal Revenue Service (IRS) sent a Notice of Federal Tax Lien Filing and Your Right to a Hearing Under IRC 6320 (notice of Federal tax lien) to petitioner with respect to his 2003 and 2004 Federal income tax liabilities and all the trust fund recovery penalties at issue. On the same date, the IRS sent a separate notice of Federal tax lien to petitioner and his spouse with respect to their 2000 Federal income tax liability. The total amount of petitioner's outstanding tax liabilities and penalties, reflected by both notices, was $ 47,228.02 at that time.

Petitioner responded to the notices of Federal tax lien by submitting a timely request for an administrative hearing (section 6330 hearing). In his request petitioner explained that he had "tried to do a payment plan" but that the IRS would not accept it because his account was labeled "uncollectable". After receiving the request, the *208 Appeals Office contacted petitioner about the section 6330 hearing and, in order to consider alternative collection methods, requested and received certain financial information on Form 433-A, Collection Information Statement for Wage Earners and Self-Employed Individuals, and Form 433-B, Collection Information Statement for Businesses.

On February 23, 2007, the Appeals officer conducted a section 6330 hearing with petitioner by telephone. The underlying tax liabilities were not raised. Petitioner wanted to pursue a collection alternative by employing a deferred offer-in-compromise of $ 5,000. The Appeals officer advised petitioner of additional financial information that would need to be submitted along with Form 656, Offer in Compromise. Having reviewed petitioner's living expenses, the Appeals officer cautioned that some of these expenses could be calculated, for offer-in-compromise purposes, at allowance amounts less than what petitioner claimed.

On March 8, 2007, the Appeals Office received petitioner and his spouse's offer-in-compromise and all other requested information. Their offer proposed a compromise of $ 4,272 as full satisfaction of their liabilities and penalties to be *209 paid over a 2-year period in monthly payments of $ 178. On their Form 656 petitioner and his spouse did not check any of the provided boxes stating the legal grounds on which the compromise was based. Because no grounds had been selected, the Appeals Office processed their offer-in-compromise under "Doubt as to Collectibility".

On June 25, 2007, the Appeals Office sent to petitioner the notice of determination upon which this case is based. In the notice of determination, the Appeals officer determined the reasonable collection potential to be $ 205,220, on the basis of the information petitioner provided. The Appeals officer explained to petitioner how the reasonable collection potential was calculated, including how the amounts of some of his living expenses were based upon current national and local allowance schedules instead of petitioner's provided figures. With respect to petitioner's monthly housing and utilities expense, the Appeals officer allowed $ 1,450, on the basis of the local standard amount for South Florida of $ 1,291, which was markedly less than petitioner's claimed amount of $ 3,678.

Because the reasonable collection potential was significantly greater than petitioner's *210

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Cite This Page — Counsel Stack

Bluebook (online)
2008 T.C. Memo. 210, 96 T.C.M. 140, 2008 Tax Ct. Memo LEXIS 206, Counsel Stack Legal Research, https://law.counselstack.com/opinion/fernandez-v-commr-tax-2008.