Gilligan v. Comm'r

2004 T.C. Memo. 194, 88 T.C.M. 170, 2004 Tax Ct. Memo LEXIS 201
CourtUnited States Tax Court
DecidedAugust 30, 2004
DocketNo. 14693-02L
StatusUnpublished

This text of 2004 T.C. Memo. 194 (Gilligan 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
Gilligan v. Comm'r, 2004 T.C. Memo. 194, 88 T.C.M. 170, 2004 Tax Ct. Memo LEXIS 201 (tax 2004).

Opinion

JAMES G. GILLIGAN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Gilligan v. Comm'r
No. 14693-02L
United States Tax Court
T.C. Memo 2004-194; 2004 Tax Ct. Memo LEXIS 201; 88 T.C.M. (CCH) 170;
August 30, 2004, Filed

Respondent's motion for summary judgment and to impose penalty under section 6673 granted.

*201 James G. Gilligan, pro se.
Matthew A. Mendizabal, for respondent.
Vasquez, Juan F.

Vasquez

MEMORANDUM OPINION

VASQUEZ, Judge: This case is before the Court on respondent's motion for summary judgment and to impose a penalty under section 66731 (motion for summary judgment).

Background

Petitioner was born in Alameda, California. At the time he filed the petition, petitioner maintained a post office box in Campbell, California. Petitioner claims he was homeless during this time and lived with friends in California, Nevada, and Oregon.

For 1992, petitioner initially filed a Form 1040, U.S. Individual Income Tax Return, and reported a tax liability of $ 4,412. 2 Petitioner did not remit payment with his return. On December 6, 1993, the Internal Revenue*202 Service (IRS) assessed this amount. The IRS sent notice and demand for payment letters to petitioner on May 2, 1994, and December 2, 1996. On or about August 20, 1997, petitioner submitted a Form 1040NR, U.S. Nonresident Alien Income Tax Return, for 1992 and reported a tax liability of "N/A".

For 1993, petitioner initially filed a Form 1040 and reported a tax liability of $ 2,254. Petitioner did not remit payment with his return. On November 28, 1994, the IRS assessed this amount. The IRS sent notice and demand for payment letters to petitioner on November 28, 1994, and December 2, 1996. On or about August 20, 1997, petitioner submitted a Form 1040NR for 1993 and reported a tax liability of "N/A".

On or about August 20, 1997, petitioner filed a Form 1040NR for 1994 and reported a tax liability of "N/A". On May 26, 1998, the IRS issued petitioner a notice of deficiency for 1994. Petitioner failed to file a petition with the Court. On November 23, 1998, the*203 IRS assessed a tax of $ 141. The IRS sent notice and demand for payment letters to petitioner on November 23, and December 14, 1998.

On or about August 20, 1997, petitioner filed a Form 1040NR for 1996 and reported a tax liability of "N/A". On August 11, 1998, the IRS issued petitioner a notice of deficiency for 1996. Petitioner failed to file a petition with the Court. On February 8, 1999, the IRS assessed a tax of $ 574. The IRS sent notice and demand for payment letters to petitioner on February 8 and March 1, 1999.

Petitioner made various alterations to the Forms 1040NR for 1992, 1993, 1994, and 1996. Petitioner crossed out "Income Tax" on the title. For "country" he wrote "USA National, aka natural born free Citizen Constitutionally, California/Republic". Petitioner wrote "N/A" on various lines of the forms requiring information about himself and his income. Petitioner altered the jurat on the forms before signing them. Under the box "Your occupation in the United States" petitioner wrote "none" and made various references to the United States Constitution. At the bottom of the form, he typed "With expressed reservations of my Unalienable Rights, of my Constitutional Privileges*204 and Immunities (at 4:2:1), and the lesser UCC/Uniform Commercial Code (at section 1.207) 'with reservation of all our rights', for the Record!".

On December 17, 2001, the IRS sent petitioner a "Final notice -- notice of intent to levy and notice of your right to a hearing" for 1992, 1993, 1994, and 1996. On January 8, 2002, petitioner submitted a Form 12153, Request for a Collection Due Process Hearing, with an 11-page attachment asserting frivolous and meritless arguments.

On July 10, 2002, Appeals Officer Eric Johansen conducted a section 6330 hearing (hearing) in person with petitioner. Petitioner requested that the hearing be tape recorded; however, the Appeals officer advised petitioner that the hearing could not be tape recorded. At the hearing, petitioner did not raise any spousal defenses. He did not propose any collection alternatives. Petitioner refused to sign a Form 433-A, Collection Information Statement for Wage Earners and Self-Employed Individuals, despite his contentions that he was unemployed and had no money to pay the tax liability.

On August 15, 2002, the IRS issued petitioner a Notice of Determination Concerning Collection Action(s) *205 under Section 6320 and/or 6330 (notice of determination) to proceed with collection.

On September 13, 2003, petitioner filed a petition with the Court. In the petition, petitioner advances frivolous and meritless arguments.

On March 29, 2004, respondent filed a motion for summary judgment and to impose a penalty under section 6673.

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Bluebook (online)
2004 T.C. Memo. 194, 88 T.C.M. 170, 2004 Tax Ct. Memo LEXIS 201, Counsel Stack Legal Research, https://law.counselstack.com/opinion/gilligan-v-commr-tax-2004.