Hirsch v. Comm'r

2012 T.C. Summary Opinion 89, 2012 Tax Ct. Summary LEXIS 86
CourtUnited States Tax Court
DecidedSeptember 11, 2012
DocketDocket No. 24997-11S L.
StatusUnpublished

This text of 2012 T.C. Summary Opinion 89 (Hirsch 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
Hirsch v. Comm'r, 2012 T.C. Summary Opinion 89, 2012 Tax Ct. Summary LEXIS 86 (tax 2012).

Opinion

WILLIAM M. HIRSCH, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Hirsch v. Comm'r
Docket No. 24997-11S L.
United States Tax Court
T.C. Summary Opinion 2012-89; 2012 Tax Ct. Summary LEXIS 86;
September 11, 2012, Filed

PURSUANT TO INTERNAL REVENUE CODE SECTION 7463(b), THIS OPINION MAY NOT BE TREATED AS PRECEDENT FOR ANY OTHER CASE.

*86

An appropriate order will be issued granting respondent's motion, and decision will be entered for respondent.

Richard G. Reilly, Jr., for petitioner.
Rachel L. Schiffman, for respondent.
RUWE, Judge.

RUWE
SUMMARY OPINION

RUWE, Judge: The petition in this case was filed pursuant to the provisions of section 7463 1 of the Internal Revenue Code. Pursuant to section 7463(b), the decision to be entered is not reviewable by any other court, and this opinion shall not be treated as precedent for any other case. This matter is before the Court on respondent's motion for summary judgment (motion) pursuant to Rule 121. Respondent contends that no genuine issue exists as to any material fact and that the determination to maintain a notice of Federal tax lien (NFTL) filed under section 6323 should be sustained. Petitioner has not responded to the motion, despite an order from this Court instructing him to do so. 2*87

Background

At the time the petition was filed, petitioner resided in New York.

On October 15, 2010, respondent filed the NFTL regarding petitioner's unpaid liabilities for section 6672 3 penalties for the periods ending June 30, September 30, and December 31, 2005, and March 31, 2006 (periods at issue). Respondent sent petitioner a Notice of Federal Tax Lien Filing and Your Right to a Hearing Under IRC 6320, dated October 14, 2010, advising petitioner that an NFTL had been filed with respect to his unpaid liabilities for the periods at issue and that he could request a hearing with respondent's Office of Appeals. Petitioner timely submitted a Form 12153, Request for a Collection Due Process or Equivalent Hearing, in which he did not contest the underlying liabilities but instead requested an installment agreement and an offer-in-compromise. By letter dated January 18, 2011, respondent's settlement officer acknowledged receipt of petitioner's collection due process (CDP) hearing request and scheduled a telephone conference for February 14, 2011. In the letter the settlement officer requested that petitioner provide a completed Form 433-A, Collection Information *88 Statement for Wage Earners and Self-Employed Individuals, and Form 656, Offer in Compromise, so that a decision could be made regarding petitioner's request for an installment agreement and an offer-in-compromise.

On February 22, 2011, the Internal Revenue Service (IRS) received petitioner's Form 433-A, Form 656, and Form 656-A, Income Certification for Offer in Compromise Application Fee and Payment. The settlement officer sent petitioner's Form 656 to the IRS' Centralized Offer in Compromise (COIC) unit for review. In a letter dated March 21, 2011, the COIC unit informed petitioner that the Form 656 he submitted was missing information and that he had to provide the requested information within 30 days of the letter. In a letter dated May 10, 2011, the COIC unit informed petitioner that because he did not provide the requested financial information, the offer-in-compromise would be *89 returned to the settlement officer.

On June 10, 2011, the IRS received petitioner's revised offer-in-compromise. On August 5, 2011, the settlement officer faxed to petitioner's counsel worksheets showing that petitioner had the ability to pay the liabilities for section 6672 penalties. The settlement officer requested that petitioner's counsel review the worksheets and respond with any additional information by August 12, 2011. The settlement officer also called petitioner's counsel on August 5, 2011, and left a voice mail message. Petitioner's counsel did not respond to the settlement officer's facsimile or the voice mail message. On August 22, 2011, the settlement officer left another voice mail message with petitioner's counsel stating that if no response was received by August 26, 2011, the case would be closed. As of September 8, 2011, petitioner's counsel had not responded to the settlement officer's facsimile or the voice mail messages.

Respondent issued petitioner a Notice of Determination Concerning Collection Action(s) Under Section 6320 and/or 6330, dated September 22, 2011, determining that respondent had followed all legal and procedural requirements in the filing of the *90 NFTL and that the NFTL was appropriate.

Petitioner timely filed a petition with this Court.

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2012 T.C. Summary Opinion 89, 2012 Tax Ct. Summary LEXIS 86, Counsel Stack Legal Research, https://law.counselstack.com/opinion/hirsch-v-commr-tax-2012.