Harris v. Comm'r

2006 T.C. Memo. 275, 92 T.C.M. 533, 2006 Tax Ct. Memo LEXIS 280
Procedural entryThis page is a short order in Harris v. Comm'r. Read the opinion of the Court — 97 T.C.M. 1106
United States Tax Court·Decided December 27, 2006·No. No. 7754-06 ·Unpublished

Opinion

JONATHAN HARRIS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Harris v. Comm'r
No. 7754-06
United States Tax Court
T.C. Memo 2006-275; 2006 Tax Ct. Memo LEXIS 280; 92 T.C.M. (CCH) 533;
December 27, 2006, Filed
*280 Jonathan Harris, pro se.
Frederick J. Lockhart, Jr., for respondent.
Laro, David

DAVID LARO

MEMORANDUM OPINION

LARO, Judge: This case is before the Court on respondent's motion to dismiss for failure to state a claim upon which relief can be granted and to impose a penalty under section 6673 as supplemented. 1 Petitioner did not file a Federal income tax return for 2000, 2001, or 2002. Respondent prepared a Form 4549A, Income Tax Examination Changes, and issued to petitioner a notice of deficiency dated January 23, 2006, that determined the following deficiencies in petitioner's Federal income tax and additions to tax:

                     Additions to Tax

                     ________________

Year   Deficiency   Sec. 6651(a)(1)    Sec. 6651(a)(2)     Sec. 6654____   __________   ______________     _______________      _________

2000  $ 185,170    $ 41,663.25       See * below       $ 9,890.85

2001    90,250     20,306.25       See * below        3,606.72

2002    82,605  *281    18,586.13       See * below        2,760.39

With regard to the section 6651(a)(2) addition to tax for each year, the note marked by the "*" stated that "The amount of the addition to tax cannot be determined at this time, but an addition to tax of .5 percent will be imposed for each month, or fraction thereof, of nonpayment, up to 25 percent, based on the liability shown on this report."

Petitioner, while residing in Wheat Ridge, Colorado, timely petitioned this Court. In his petition, petitioner denies being a "subject" liable to tax and argues, among other things, that he has, by his actions, relinquished his "subject" status of "U.S. citizenship" and that this Court lacks jurisdiction to decide the case.

Respondent filed a motion to dismiss the case for failure to state a claim upon which relief can be granted and to impose*282 a penalty under section 6673. The motion was calendared for a hearing at a September 11, 2006, session of the Court in Denver, Colorado. Petitioner failed to appear when the case was called.

Rule 34(b)(4) requires that a petition filed in this Court contain clear and concise assignments of each and every error that the petitioning taxpayer alleges to have been committed by the Commissioner in the determination of any deficiency, addition to tax, or penalty in dispute. Rule 34(b)(5) further requires that the petition shall contain clear and concise lettered statements of the facts on which the taxpayer bases the assignments of error. See Funk v. Comm'r, 123 T.C. 213, 215 (2004); Jarvis v. Commissioner, 78 T.C. 646, 658 (1982). Any issue not raised in the pleadings is deemed to be conceded. See Rule 34(b)(4); Funk v. Comm'r, supra at 215. Further, the failure of a party to plead or otherwise proceed as provided in the Court's Rules may be grounds for the Court to hold such party in default, either on the motion of another party or on the initiative of the Court. See Rule 123(a); Meeker v. Comm'r, T.C. Memo 2005-146;*283 Ward v. Comm'r, T.C. Memo 2002-147. The Court also may dismiss a case and enter a decision against a taxpayer for the failure properly to prosecute or to comply with the Rules of this Court. See

Free access — add to your briefcase to read the full text and ask questions with AI

Harris v. Comm'r, 2006 T.C. Memo. 275, 92 T.C.M. 533, 2006 Tax Ct. Memo LEXIS 280 (tax 2006).

2006 T.C. Memo. 275 (Harris v. Comm'r) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Meeker v. Comm'r
2005 T.C. Memo. 146 (U.S. Tax Court, 2005)
Williams v. Commissioner
114 T.C. No. 8 (U.S. Tax Court, 2000)
Funk v. Comm'r
123 T.C. No. 11 (U.S. Tax Court, 2004)
Jarvis v. Commissioner
78 T.C. No. 45 (U.S. Tax Court, 1982)