Huntress v. Comm'r

2009 T.C. Memo. 161, 98 T.C.M. 8, 2009 Tax Ct. Memo LEXIS 159
CourtUnited States Tax Court
DecidedJuly 1, 2009
DocketNo. 18574-08L
StatusUnpublished
Cited by73 cases

This text of 2009 T.C. Memo. 161 (Huntress 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
Huntress v. Comm'r, 2009 T.C. Memo. 161, 98 T.C.M. 8, 2009 Tax Ct. Memo LEXIS 159 (tax 2009).

Opinion

GARY E. HUNTRESS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Huntress v. Comm'r
No. 18574-08L
United States Tax Court
T.C. Memo 2009-161; 2009 Tax Ct. Memo LEXIS 159; 98 T.C.M. (CCH) 8;
July 1, 2009, Filed
*159

R issued to P a notice of filing of Federal tax lien, and P timely requested a hearing under I.R.C. sec. 6320. In that request P asked for a face-to-face hearing and indicated that he desired an offer-in-compromise or an installment agreement, but P never made a concrete proposal of either. P did not submit his financial information as requested and was not current in his filing obligations. As a result, R refused to hold a face-to-face conference as P had requested. P did not participate in his telephone collection due process conference, and R issued to P a final notice of determination that R would sustain the filing of the Federal tax lien. P appealed that determination to this Court, arguing that he was entitled to a face-to-face hearing whether or not he had submitted his financial information or fulfilled his filing obligations. R moved for summary judgment, and P opposed R's motion.

Held: R's Office of Appeals did not abuse its discretion in sustaining the filing of a Federal tax lien when (1) P generally requested a collection alternative, but made no concrete proposals, (2) P failed to supply his financial information as requested, and (3) P was not current with his filing *160 and/or payment obligations.

Gary E. Huntress, Pro se.
Erika B. Cormier, for respondent.
Gustafson, David

DAVID GUSTAFSON

MEMORANDUM OPINION

GUSTAFSON, Judge: This case is an appeal by petitioner Gary E. Huntress, pursuant to section 6330(d), 1 asking this Court to review the notice of determination issued by the Internal Revenue Service (IRS) sustaining the filing of a notice of Federal tax lien to collect Mr. Huntress's unpaid Federal income tax for tax years 2000 and 2001. The case is currently before the Court on respondent's motion for summary judgment filed May 5, 2009. Mr. Huntress filed an opposition to respondent's motion on June 9, 2009. The principal issue for decision is whether the IRS's Office of Appeals abused its discretion by denying Mr. Huntress a face-to-face hearing. For the reasons explained below, we will grant respondent's motion.

Background

The following facts are based on the documents in the record of the IRS's hearing held pursuant to section 6330(b) and (c). Those documents are authenticated *161 by the declaration of the IRS's settlement officer included with respondent's motion. As is discussed below, Mr. Huntress did not raise any genuine issue as to these facts.

Mr. Huntress filed no tax returns for the years 2000 and 2001, the two years at issue. In June 2005 the IRS sent him a statutory notice of deficiency for those years (and for the nonsuit years 2002 and 2003). He received the notice and wrote a responsive letter to the IRS disputing it, but he did not file a deficiency suit in this Court. The IRS therefore assessed the deficiencies in November 2005.

In April 2006 the IRS sent Mr. Huntress a notice of its intent to levy against him to collect his unpaid tax income tax liabilities for 2000 and 2001. (This is not the collection notice at issue in this suit.) That notice advised him of his right to request a collection due process (CDP) hearing before the Office of Appeals. He requested the hearing but did not attend it, and in December 2006 the IRS issued a notice of determination sustaining the proposed levy. Mr. Huntress did not file in this Court a petition for review of that determination.

On February 14, 2008, the IRS sent Mr. Huntress a notice of Federal tax lien, *162 advising him that it had filed a notice of lien against him with respect to his unpaid tax liabilities for 2000 and 2001 and advising him of his right to request a CDP hearing before the Office of Appeals. He timely filed a Form 12153, Request for a Collection Due Process or Equivalent Hearing, to which was attached a document entitled "Attachment letter to CDPH Request form (form no. 12153)". The attachment is a laundry list of potential defects in IRS procedure and arguments and requests that a taxpayer might make in the CDP context. Mr. Huntress placed an "X" in the blank by each item, even though some of them are manifestly incorrect with respect to him (e.g., "I did not receive a statutory Notice of Deficiency") or do not apply to him (e.g., a dispute about "the $ 500 frivolous [return] penalty" of section 6702, which was not assessed against him).

On this attachment Mr. Huntress requested "collection alternatives including Offer in Compromise (OIC) [and] payment schedule" and requested that his hearing before the Office of Appeals be a face-to-face hearing. In a letter of April 11, 2008, he repeated his request for a face-to-face hearing.

In a letter of April 25, 2008, the Office *163

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Bluebook (online)
2009 T.C. Memo. 161, 98 T.C.M. 8, 2009 Tax Ct. Memo LEXIS 159, Counsel Stack Legal Research, https://law.counselstack.com/opinion/huntress-v-commr-tax-2009.