Hanna & Assocs., P.C. v. Commissioner

1997 T.C. Memo. 376, 74 T.C.M. 331, 1997 Tax Ct. Memo LEXIS 447
United States Tax Court·Decided August 18, 1997·No. Docket No. 9716-96·Unpublished

Opinion

HANNA AND ASSOCIATES, P.C., F.K.A. MARK J. HANNA, P.C., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Hanna & Assocs., P.C. v. Commissioner
Docket No. 9716-96
United States Tax Court
T.C. Memo 1997-376; 1997 Tax Ct. Memo LEXIS 447; 74 T.C.M. (CCH) 331;
August 18, 1997, Filed

*447 An appropriate order will be entered granting respondent's motion to dismiss.

Charles F. Daily, Jr., for petitioner.
Steven B. Bass, for respondent.
WHALEN, Judge

WHALEN

MEMORANDUM OPINION

WHALEN, Judge: This case is before the Court to decide respondent's Motion To Dismiss For Lack Of Jurisdiction. The issue for decision is whether petitioner filed its petition within the time prescribed by section 6213(a). Unless stated otherwise, all section references are to the Internal Revenue Code.

Background

*448 Petitioner is a corporation. At the time the instant petition was filed, petitioner's principal place of business was in Austin, Texas.

Respondent issued a notice of deficiency determining a deficiency of $ 19,131 in petitioner's 1992 income tax, and an accuracy-related penalty pursuant to section 6662(a) of $ 3,826.

Respondent sent the notice of deficiency by certified mail to petitioner's last known address on February 8, 1996. The 90-day period under section 6213(a) for timely filing a petition for redetermination in this Court expired on May 8, 1996.

After the notice of deficiency was mailed to petitioner, its president, Mr. Mark J. Hanna, conferred with its attorney, Charles F. Daily, Jr., about filing a petition for redetermination*449 with this Court and about the substance of the petition. Mr. Hanna was aware that the deadline for filing such a petition was May 8, 1996, and he met with Mr. Daily on May 7, 1996, to finalize the preparation of a petition for redetermination.

At that time, petitioner employed Ms. Denese D. Lindsay-Mosley as a legal assistant and office manager. Ms. Mosley had worked for petitioner in that capacity for approximately 6 1/2 years. She was responsible for petitioner's outgoing mail and was the only person in petitioner's office who regularly used petitioner's private postage meter.

On May 7, 1996, Mr. Hanna instructed Ms. Mosley to type and mail the instant petition. Ms. Mosley was aware that the petition needed to be filed on or before May 8, 1996. Mr. Daily relied upon Ms. Mosley to type and mail the instant petition because he did not employ his own secretary. After the close of business on May 7, 1996, Ms. Mosley planned to be away from the office for approximately 3 weeks to marry and go on a honeymoon. During Ms. Mosley's absence from the office, from May 9, 1996, through May 24, 1996, petitioner employed a temporary secretary, Ms. Laura Sanders.

The instant petition was received*450 by the Court, and was filed, on May 20, 1996, 102 days after the mailing of the notice of deficiency. It was received in an envelope postmarked "May 7, 1996" from Austin, Texas. The postmark was made by a private postage meter bearing the number 5048754, and not by the U.S. Postal Service. The petition is dated May 7, 1996, and is signed by petitioner's attorney. The envelope in which the petition was received by the Court is not torn or damaged, and there are no markings indicating that additional postage was due or that the normal delivery of the envelope was delayed. The parties agree that the normal delivery time for a properly addressed envelope sent from Austin, Texas, to Washington, D.C., is 3 days.

On May 7, 1996, the mailboxes in petitioner's building were located in the basement. Sometime thereafter, the mailboxes were moved to a location down the hall from petitioner's office. While it is unclear from the record exactly when that move occurred, it is clear that the move had taken place by July 11, 1996, the date on which petitioner filed Petitioner's Response To Respondent's Motion To Dismiss, and the date of Ms. Mosley's affidavit attached thereto (Ms. Mosley's affidavit).

*451 Over the years, petitioner has had several different postal meters, and each meter has had a different serial number. On May 7, 1996, petitioner was using a postal meter with the number 5048754. Sometime after May 28, 1996, the date Ms. Mosley returned from her vacation, a Pitney Bowes representative replaced petitioner's postal meter with one bearing the number 5037718.

On or about July 6, 1996, Mr. Hanna wrote the following letter to Mr. Steve Hanson, the mailing requests clerk at the main U.S. Post Office in Austin, Texas, inquiring whether petitioner's office had ever been notified about sending "'stale date' mailings":

Dear Mr. Hanson:

If you will check your Austin Post Office computer record of notices sent relating to "stale date" mailings and certify that neither Mark J. Hanna, P.C. nor Hanna & Associates, P.C. have ever been mailed such a notice, I would appreciate it. Our Pitney-Bowes meter number is 5037718.

Sincerely,

Mark J. Hanna

In response, Mr. Hanson provided the following information:

Post office personnel scan all metered mail which is collected in this fashion. Most such mail does not separately receive a postmark in our cancelling facility. *452 However, when scanners detect metered mail which does not bear the current date on its meter, it is pulled and run through a cancelling machine to receive a cancel bearing the current date over its 'stale' meter date. If either a significant amount of stale date metered mail or any mail bearing a meter date several days old is detected, the sender may be contacted and asked to redate all such mail before it is remailed.

* * * *

Upon the written request of Mr. Mark J. Hanna, who has held a Pitney Bowes postage meter number 5037718 and has sent mail labeled either Mark J. Hanna, P.C. or Hanna and Associates, P.C. since 1990, I checked our computer and learned that no stale date notices have been recorded on that account.

Discussion

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Hanna & Assocs., P.C. v. Commissioner, 1997 T.C. Memo. 376, 74 T.C.M. 331, 1997 Tax Ct. Memo LEXIS 447 (tax 1997).

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