Jeff Burger Prods., Inc. v. Commissioner

2000 T.C. Memo. 72, 79 T.C.M. 1598, 2000 Tax Ct. Memo LEXIS 79
CourtUnited States Tax Court
DecidedMarch 3, 2000
DocketNo. 513-99
StatusUnpublished

This text of 2000 T.C. Memo. 72 (Jeff Burger Prods., Inc. v. Commissioner) 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
Jeff Burger Prods., Inc. v. Commissioner, 2000 T.C. Memo. 72, 79 T.C.M. 1598, 2000 Tax Ct. Memo LEXIS 79 (tax 2000).

Opinion

JEFF BURGER PRODUCTIONS, LLC, BANANA MOON TRUST, J.C. CHISUM, TRUSTEE, TAX MATTERS PARTNER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Jeff Burger Prods., Inc. v. Commissioner
No. 513-99
United States Tax Court
T.C. Memo 2000-72; 2000 Tax Ct. Memo LEXIS 79; 79 T.C.M. (CCH) 1598;
March 3, 2000, Filed

*79 An order of dismissal for lack of jurisdiction granting respondent's motion will be entered.

Jimmy C. Chisum, for petitioner.
Richard A. Rappazzo, for respondent.
Chiechi, Carolyn P.

CHIECHI

MEMORANDUM OPINION

CHIECHI, JUDGE: This case is before the Court on respondent's motion to dismiss for lack of jurisdiction (respondent's motion). We shall grant respondent's motion.

BACKGROUND

For purposes of respondent's motion, the parties do not dispute the following factual allegations that are part of the record. At all relevant times, Jeff Burger Productions, LLC (Jeff Burger Productions), was a limited liability company that is taxed as a partnership because it did not make an election to be taxed as a corporation. Jeff Burger Productions filed partnership income tax returns, Forms 1065 (returns), for taxable years 1994 and 1995. In those returns, it was indicated that there were two partners/members of Jeff Burger Productions, i.e., Banana Moon Trust and Purple Passion Trust. Consequently, the provisions of sections 6221 through 6234 apply. 1

*80 Respondent issued a Notice of Final Partnership Administrative Adjustment which was addressed as follows:

   JEFF BURGER

   TAX MATTERS PARTNER

   JEFF BURGER PRODUCTIONS LLC

   40 EAST TONTO RIM DRIVE

   SEDONA, AZ 86351-7880

J.C. Chisum (Mr. Chisum) timely mailed to the Court a petition purportedly filed on behalf of Jeff Burger Productions. Mr. Chisum identified himself in the petition as trustee of Banana Moon Trust. Mr. Chisum further represented in the petition that Banana Moon Trust is the tax matters partner (TMP) for Jeff Burger Productions. Banana Moon Trust was formed under the laws of the State of Arizona.

Upon commencement of the examination of the returns filed by Jeff Burger Productions for taxable years 1994 and 1995, respondent requested complete copies of the trust documents relating to Banana Moon Trust, the purported TMP for Jeff Burger Productions, as well as other information. Petitioner refused to provide respondent with the trust documents and other information requested.

Respondent's motion contends in pertinent part:

     14. There is absolutely no evidence from which

   the Court can adduce that Mr. Chisum*81 is the current

   trustee of Banana Moon Trust.

     15. Petitioner * * * [has] provided no evidence

   that the appointment of Mr. Chisum (as trustee) was

   valid or authorized under the terms of the trust

   indenture * * *.

     16. * * * petitioner * * * [has] failed to demonstrate that

   Mr. Chisum was legally appointed as trustee of Banana Moon Trust

   and therefore, [is] authorized to act on behalf of Banana Moon

   Trust (as TMP) and bring the instant case before this Court. See

   T.C. Rule 60(c).

     17. The capacity of Mr. Chisum to act under

   Arizona law and bring the instant suit in this Court,

   likewise, has not been established.

Petitioner filed a response to respondent's motion in which it asks the Court to deny that motion. That response asserts in pertinent part:

   3. The Respondent's objection goes to the management of the

Trust, its internal affairs, concerns about its administration, the

declaration of rights and the determinations of matters involving the

trustee. As the Respondent concedes that these are "Arizona Trusts"

[sic] * * *, this*82 issue falls within the exclusive jurisdiction

of the superior court here in the State of Arizona. See A.R.S.

section 14-7201. At this point, this court is without jurisdiction to

determine whether * * * [Mr. Chisum] is the duly authorized Trustee.

The Petitioner need not remind the Court of the consequences of

taking any action over which subject matter is completely lacking.

   4. Any objection the Respondent or Respondent's counsel has in

this area must be taken up in the Superior Court here in Arizona,

assuming of course the Respondent or Respondent's counsel has

standing. The irony is of course, if Respondent or Respondent's

counsel does take the matter up with the Superior Court, where the

Respondent will have the burden of proof, and if the Superior Court

finds that the Trusts are [sic] valid, then the Respondent will be

barred by res judicata from asserting the sham trust claim that forms

the basis for his deficiency determination.

   5. * * * In essence the factual claims raised by the

Motion to Dismiss are inextricably intertwined with the facts going

to the merits of the Commissioner's sham trust claim at issue in this

case. If the Trusts*83 are [sic] valid, then Mr. Chisum, under Arizona

Law, will be presumed to be the duly authorized trustee, whether it

is as a Trustee of a resulting trust, constructive trust or

expressed [sic] trust. Therefore, the only course available to this

Court is to defer consideration of the jurisdictional claims to the

trial on the merits. Farr v. United States, 990 F.2d 451, * * *

[454] n.1 (9th Cir., 1993). Careau Group v. United Farm Workers [of

Am.],

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2000 T.C. Memo. 72, 79 T.C.M. 1598, 2000 Tax Ct. Memo LEXIS 79, Counsel Stack Legal Research, https://law.counselstack.com/opinion/jeff-burger-prods-inc-v-commissioner-tax-2000.