Gorham v. Commissioner

1993 T.C. Memo. 67, 65 T.C.M. 1975, 1993 Tax Ct. Memo LEXIS 75
CourtUnited States Tax Court
DecidedMarch 1, 1993
DocketDocket No. 23719-90
StatusUnpublished

This text of 1993 T.C. Memo. 67 (Gorham 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
Gorham v. Commissioner, 1993 T.C. Memo. 67, 65 T.C.M. 1975, 1993 Tax Ct. Memo LEXIS 75 (tax 1993).

Opinion

ROGER AND NAN GORHAM, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Gorham v. Commissioner
Docket No. 23719-90
United States Tax Court
T.C. Memo 1993-67; 1993 Tax Ct. Memo LEXIS 75; 65 T.C.M. (CCH) 1975;
March 1, 1993, Filed
*75 Roger Gorham, pro se.
For respondent: Christina D. Lickteig.
CHIECHI

CHIECHI

MEMORANDUM OPINION

CHIECHI, Judge: This case is before the Court on petitioners' motion for leave to amend the petition. Respondent filed a notice of objection to the granting of such motion. A hearing was held on petitioners' motion.

Respondent mailed separate notices of deficiency, dated July 20, 1990, to petitioners Roger Gorham and Nan Gorham, individually, for taxable years 1983 through 1985. Respondent also mailed separate notices of deficiency, dated July 20, 1990, to petitioners Roger Gorham and Nan Gorham, individually, for taxable years 1986 through 1988.

A document signed by Roger Gorham and Nan Gorham was received by the Court on October 19, 1990, and was treated and filed by the Court as a petition. Such petition (original petition) stated in pertinent part:

PETITION TO CONTEST ALLEDGED [sic] DEFICIENCY

We, Roger Gorham and Nan Gorham, husband and wife, do hereby petition the United States Tax Court for a redetermination of tax per the attached Forms 5601 (rev. 4-85).

The "Forms 5601 (rev. 4-85)" specifically referred to in and attached to the original petition were copies*76 of the separate notices of deficiency sent to petitioners Roger Gorham and Nan Gorham, individually, for taxable years 1983 through 1985 and 1986 through 1988. Part of the original petition also consisted of a letter from Roger Gorham and Nan Gorham, which was addressed to this Court and which, in pertinent part, alleged error as to certain income attributed to them for taxable years 1986 and 1987.

The original petition did not comply with our Rules 1 as to the form and content of a proper petition, and the filing fee required by our Rules was not paid at the time the original petition was filed. Consequently, the Court ordered petitioners to file a proper amended petition on the form petition which is normally intended for use only in those cases involving less than $ 10,000, a copy of which was sent to petitioners by the Clerk of the Court. The Court further ordered petitioners to pay the prescribed filing fee.

On February 15, *77 1991, petitioners filed an amended petition on the form provided by the Clerk of the Court. Such amended petition referred to only taxable years 1983 through 1985 and the deficiencies and additions to tax determined against Roger Gorham for those years.

On April 17, 1991, respondent filed with the Court an answer to the amended petition, in which respondent alleged, inter alia, that the notices of deficiency for taxable years 1983 through 1985 are the basis for the dispute in this case and that the deficiencies and additions to tax determined against Roger Gorham that were indicated in the amended petition for taxable years 1983 through 1985 were not all of the amounts shown in the notices of deficiency sent to Roger Gorham and Nan Gorham for such years.

On October 6, 1992, petitioners filed a motion for leave to amend the petition, which the Court treats as a motion to amend the original petition so as to comply with our Rules as to the form and content of a proper petition with respect to not only taxable years 1983 through 1985 which were referred to in the amended petition filed on February 15, 1991, but also taxable years 1986 through 1988 which were not referred to in *78 such amended petition. Petitioners lodged a second amended petition with the Court in which they asserted their disagreement with the deficiencies and additions to tax determined by respondent against them for taxable years 1983 through 1988.

On October 27, 1992, respondent filed a notice of objection to petitioners' motion to amend the petition. Respondent contends in such notice that the Court does not have jurisdiction over taxable years 1986 through 1988 and that petitioners' motion should therefore be denied.

A petition to this Court may be filed within 90 days after a notice of deficiency is mailed to a taxpayer in the United States. Sec. 6213(a), I.R.C. If a petition for taxable years 1986 through 1988 was not timely filed within such 90-day period, we are without jurisdiction over the deficiencies and additions to tax determined in the notices of deficiency issued to petitioners, individually, for such years. O'Neil v. Commissioner, 66 T.C. 105 (1976); C. Frederick Brave, Inc. v. Commissioner, 65 T.C. 1001 (1976); Sylvan v. Commissioner, 65 T.C. 548 (1975). In this event, we*79 must deny petitioners' motion for leave to amend the petition.

It is the policy of this Court to be liberal in treating as petitions all documents intended as petitions filed by taxpayers within the statutory 90-day period. See, e.g., O'Neil v. Commissioner, supra at 107;

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Cite This Page — Counsel Stack

Bluebook (online)
1993 T.C. Memo. 67, 65 T.C.M. 1975, 1993 Tax Ct. Memo LEXIS 75, Counsel Stack Legal Research, https://law.counselstack.com/opinion/gorham-v-commissioner-tax-1993.