Foster v. Commissioner

1982 T.C. Memo. 115, 43 T.C.M. 731, 1982 Tax Ct. Memo LEXIS 636
CourtUnited States Tax Court
DecidedMarch 8, 1982
DocketDocket No. 5122-81.
StatusUnpublished

This text of 1982 T.C. Memo. 115 (Foster 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
Foster v. Commissioner, 1982 T.C. Memo. 115, 43 T.C.M. 731, 1982 Tax Ct. Memo LEXIS 636 (tax 1982).

Opinion

WILLIAM G. and ELIZABETH N. FOSTER, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Foster v. Commissioner
Docket No. 5122-81.
United States Tax Court
T.C. Memo 1982-115; 1982 Tax Ct. Memo LEXIS 636; 43 T.C.M. (CCH) 731; T.C.M. (RIA) 82115;
March 8, 1982.
*636

By statutory notice dated September 25, 1979, respondent determined a $ 4,066.72 deficiency and a $ 1,016.68 addition to tax for the 1975 taxable year. The notice, sent to petitioners by certified mail, went unclaimed for 10 days and thereupon was returned to respondent. On March 16, 1981, petitioners filed a petition for redetermination. Held, contrary to petitioners' contention, respondent properly mailed the statutory notice to petitioners' "last known address" for purposes of section 6212(b)(1), I.R.C. 1954. Accordingly, respondent's motion to dismiss for lack of jurisdiction is granted.

Thomas A. Andrews, for the petitioners.
David D. Dahl, for the respondent.

STERRETT

MEMORANDUM OPINION

STERRETT, Judge: This case is presently before the Court on both respondent's and petitioners' Motions to Dismiss for Lack of Jurisdiction filed pursuant to Rule 53, Tax Court Rules of Practice and Procedure. The sole issue for decision is whether respondent mailed the deficiency notice herein to petitioners at their "last known address" as that phrase is used in section 6212 (b) (1), I.R.C. 1954.

Petitioners William G. Foster and his wife, Elizabeth N. Foster, are residents of Bay Village, *637 Ohio. They filed a joint Federal income tax return for the taxable year 1975 with the Internal Revenue Service Center at Cincinnati, Ohio.

On their 1975 Federal income tax return, petitioners took a deduction in the amount of $ 17,871 for a casualty loss resulting from storm damage to certain trees on their property. Thereafter, respondent conducted an audit of petitioners' tax return for that year and proposed to disallow the casualty loss deduction.

During 1979, Robert W. Coles, Jr. was an appeals officer at the Cleveland Internal Revenue Service Office. On January 24, 1979, Mr. Coles sent a letter to petitioners scheduling a conference with them on February 23, 1979. The letter advised petitioners that an attorney, certified public accountant, or person enrolled to practice before the Internal Revenue Service could represent them in the matter upon submission by them of a Form 2848, Power of Attorney. On February 23, 1979, Mr. Coles met with petitioners' attorney, Mr. Thomas A. Andrews. Diring the conference, Mr. Andrews submitted to Mr. Coles the Form 2848, wherein petitioners designated Mr. Andrews as their representative under the power of attorney. The address of petitioners *638 at the top of the Form 2848 was listed as 29920 Lake Road, Cleveland, Ohio.

Mr. Coles never spoke with petitioners in person. His sole contact with them was through Mr. Andrews. His last correspondence with Mr. Andrews was by letter received on April 26, 1979.

By statutory notice dated September 25, 1979, respondent determined a deficiency in petitioners' Federal income tax for the taxable year 1975 in the amount of $ 4,066.72. Respondent also determined an addition to tax pursuant to section 6651(a) in the amount of $ 1,016.68. The statutory notice was sent by certified mail to the Fosters' address on Lake Road in Cleveland, Ohio. The letter carrier, apparently finding no one at home, left a claim check at petitioners' address on October 1, 1979. The notice went unclaimed for 10 days and thereupon was returned to respondent. As of the date that the notice was mailed, Mr. Coles had not been informed in any manner that the mailing address of either Mr. or Mrs. Foster had been changed. His usual procedure was to note any change of address in the taxpayer's file. Here, no such notation had been made.

On March 16, 1981, petitioners filed a petition in this Court for redetermination *639 of the deficiency and addition to tax determined by respondent in the notice of deficiency dated September 25, 1979. On May 8, 1981, respondent moved to dismiss the case for lack of jurisdiction on the ground that the petition was not filed within the time prescribed by section 6213(a) or section 7502. Thereafter, petitioners filed a brief in opposition to the respondent's motion to dismiss and upon consideration of the brief, this Court ordered that respondent's motion to dismiss be set for hearing on July 8, 1981. On May 26, 1981, petitioners filed a motion to dismiss for lack of jurisdiction on the ground that the notice of deficiency which was sent to petitioners was not mailed to their last known address as is required by section 6212(a). The case was continued and eventually heard on October 26, 1981.

In order for a taxpayer to be entitled to litigate in this Court, a petition for redetermination must be filed by that taxpayer within 90 days, or 150 days if the notice is addressed to a person outside the United States, after the proper mailing by the Commissioner of the notice of deficiency. Sec. 6213(a). Failure to so file will result in the dismissal of the case since *640 timely filing is a prerequisite to the jurisdiction of this Court. Shipley v.

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Bluebook (online)
1982 T.C. Memo. 115, 43 T.C.M. 731, 1982 Tax Ct. Memo LEXIS 636, Counsel Stack Legal Research, https://law.counselstack.com/opinion/foster-v-commissioner-tax-1982.