Granger v. Comm'r

2009 T.C. Memo. 258, 98 T.C.M. 454, 2009 Tax Ct. Memo LEXIS 261
CourtUnited States Tax Court
DecidedNovember 10, 2009
DocketNo. 4195-08L
StatusUnpublished

This text of 2009 T.C. Memo. 258 (Granger 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
Granger v. Comm'r, 2009 T.C. Memo. 258, 98 T.C.M. 454, 2009 Tax Ct. Memo LEXIS 261 (tax 2009).

Opinion

WILLIAM R. GRANGER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Granger v. Comm'r
No. 4195-08L
United States Tax Court
T.C. Memo 2009-258; 2009 Tax Ct. Memo LEXIS 261; 98 T.C.M. (CCH) 454;
November 10, 2009, Filed
*261
William R. Granger, Pro se.
Aaron D. Gregory, for respondent.
Paris, Elizabeth Crewson

ELIZABETH CREWSON PARIS

MEMORANDUM OPINION

PARIS, Judge: On January 15, 2008, respondent mailed to petitioner a Notice of Determination Concerning Collection Action(s) Under Section 6320 and/or 63301 (notice of determination) for tax years 2002 and 2003. In response to that notice and pursuant to section 6330(d), petitioner timely petitioned this Court for review of respondent's determination that petitioner was not entitled to a face-to-face collection due process (CDP) hearing.

The issue for decision is whether the Appeals Office abused its discretion in failing to grant petitioner a face-to-face CDP hearing.

Background

On October 26, 2005, respondent mailed to petitioner a notice of deficiency setting forth respondent's determination of petitioner's income tax deficiency for tax year 2003. Petitioner failed to petition the Tax Court with respect to the determined deficiency within the 90-day period prescribed under section 6213. As such, respondent assessed the tax liability on April 24, 2006. Respondent also assessed a section 6702*262 civil penalty against petitioner for tax year 2002 on December 12, 2005.

On April 28, 2007, respondent sent to petitioner a Notice of Intent to Levy and Notice of Your Right to a Hearing advising petitioner that respondent intended to levy on petitioner's assets to collect the unpaid liability for tax year 2003 along with the section 6702 penalty for tax year 2002. The notice also advised that petitioner could request a hearing with respondent's Office of Appeals. On May 24, 2007, petitioner timely submitted a Form 12153, Request for a Collection Due Process or Equivalent Hearing, in which he requested a face-to-face CDP hearing.

Respondent sent petitioner a letter dated June 23, 2007, acknowledging respondent's receipt of petitioner's request for a CDP hearing. In addition, respondent's Office of Appeals sent two letters to petitioner, each dated July 23, 2007, acknowledging that Appeals had received the CDP case regarding each tax year's liability for consideration.

On September 24, 2007, Settlement Officer Minnie Banks (Settlement Officer Banks) sent petitioner a letter notifying him that she had scheduled a telephone conference for October 23, 2007, to allow petitioner to discuss *263 with her any relevant challenges to the proposed levy action. This letter, in part, also explained to petitioner that he was not entitled to a face-to-face CDP hearing because he was not in income tax return filing compliance for tax year 2004. As such, the letter requested that petitioner provide Settlement Officer Banks with a signed tax return for 2004 along with a Form 433-A, Collection Information Statement for Wage Earners and Self-Employed Individuals, on or before October 16, 2007. The letter further explained that collection alternatives could not be considered without all requested information.

Petitioner sent Settlement Officer Banks a letter dated October 12, 2007, along with attachments including a signed copy of a Form 1040, U.S. Individual Income Tax Return, for tax year 2004. However, the letter did not include a completed Form 433 A. During tax year 2004 petitioner worked for an entity known as Titan Corporation. Although reflecting income tax withholdings of $ 6,392.48, the signed copy of the 2004 Form 1040 reported zero wages earned and zero adjusted gross income.

On October 23, 2007, Settlement Officer Banks sent petitioner a letter indicating that petitioner had *264 failed to call her at the scheduled time for the telephone CDP hearing as requested in her prior letter. 2This letter also explained that the previously requested Form 433-A financial information was not provided and that petitioner should provide any and all financial information to Settlement Officer Banks for consideration on or before November 6, 2007.

On November 1, 2007, petitioner sent Settlement Officer Banks a fax transmission where he, in part, "[restated] his demand for a face-to-face hearing." On December 9, 2007, petitioner sent Settlement Officer Banks two separate fax transmissions with attached documents including both a copy of the letter he previously sent on November 1, 2007, along with the signed Form 1040 for 2004 he previously provided. Petitioner never provided the Form 433-A.

On January 15, 2008, respondent's Office of Appeals issued to petitioner a notice of determination notifying petitioner that the proposed levy action was sustained. On February 19, 2008, petitioner, then residing in the Commonwealth *265

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Bluebook (online)
2009 T.C. Memo. 258, 98 T.C.M. 454, 2009 Tax Ct. Memo LEXIS 261, Counsel Stack Legal Research, https://law.counselstack.com/opinion/granger-v-commr-tax-2009.