Joiner v. Commissioner

1992 T.C. Memo. 300, 63 T.C.M. 3058, 1992 Tax Ct. Memo LEXIS 321
CourtUnited States Tax Court
DecidedMay 20, 1992
DocketDocket No. 2891-91
StatusUnpublished

This text of 1992 T.C. Memo. 300 (Joiner 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
Joiner v. Commissioner, 1992 T.C. Memo. 300, 63 T.C.M. 3058, 1992 Tax Ct. Memo LEXIS 321 (tax 1992).

Opinion

ROBERT E. JOINER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Joiner v. Commissioner
Docket No. 2891-91
United States Tax Court
T.C. Memo 1992-300; 1992 Tax Ct. Memo LEXIS 321; 63 T.C.M. (CCH) 3058;
May 20, 1992, Filed

*321 An appropriate order will be entered.

R filed a motion to dismiss for lack of jurisdiction on the ground that P did not file his petition for redetermination within the time prescribed by sec. 6213(a), I.R.C. P contends that R did not mail the deficiency notice to his last known address. Held, R mailed the deficiency notice to P's last known address -- the address appearing on P's last filed tax return. Held, further, because P did not file his petition within the time prescribed in sec. 6213(a), I.R.C., R's motion to dismiss for lack of jurisdiction is granted.

S. Dennis Joiner, for petitioner.
John F. Driscoll and Roxann T. Conrad, for respondent.
NIMS

NIMS

MEMORANDUM OPINION

NIMS, Chief Judge: This matter is before the Court on respondent's motion to dismiss for lack of jurisdiction on the ground that petitioner Robert E. Joiner did not file his petition within the time prescribed by section 6213(a). In reply to respondent's motion to dismiss, petitioner asserts that the notice of deficiency is invalid on the ground that it was not mailed to his last known address. (Section references are to the Internal Revenue Code in effect for the years in issue.)

The parties*322 do not dispute any of the facts material to the disposition of this matter. Consequently, we will proceed in the same manner as if we were ruling with respect to a motion for summary judgment.

Background

On February 8, 1989, after entering a plea of guilty to criminal charges of extortion and tax evasion, Robert E. Joiner (petitioner) was sentenced to a six-year term of incarceration in the Federal prison located at Eglin Air Force Base in Eglin, Florida. Petitioner reported to Eglin to begin his sentence on March 6, 1989.

On July 7, 1989, petitioner executed a Form 2848 (Power of Attorney) naming Dennis Joiner as his representative for the years 1978 through 1988. The Form 2848 directs that copies of all notices and other written communications addressed to petitioner are to be sent to Dennis Joiner. Petitioner listed his Eglin prison address on the Form 2848.

On May 14, 1990, petitioner executed a joint Federal income tax return with his wife for the taxable year 1989. The return, filed in July, 1990, lists petitioner's address as 808 Azalea Drive, Waynesboro, Mississippi 39367.

By notice of deficiency dated November 9, 1990, respondent determined additions to petitioner's*323 Federal income tax for the taxable years 1981 through 1984. The notice of deficiency was addressed to "Mr. Robert E. Joiner, 808 Azalea Drive, Waynesboro, Mississippi 39367." A Postal Service Form 3877 submitted by respondent indicates that the notice was mailed to petitioner on November 9, 1990.

The Postal Service does not deliver mail to the 808 Azalea Drive address. Rather, any mail addressed to petitioner or the Joiner Insurance Agency (located at 810 Azalea Drive) is routed to P.O. Box 939, Waynesboro, Mississippi.

A Postal Service Form 3811-A (Request For Return Receipt (After Mailing)) submitted by respondent indicates that an article of certified mail was sent to petitioner at the 808 Azalea Drive address on November 9, 1990. The Form 3811-A further indicates that the article was delivered (through P.O. Box 939) to a person identified as Jane Martinere on November 13, 1990. (Other than her role in receiving the deficiency notice, there is no further information in the record concerning Jane Martinere.)

On February 14, 1991, Dennis Joiner filed a petition for redetermination on petitioner's behalf contesting respondent's determinations. The petition was mailed to the*324 Court in a United States Postal Service Express Mail package. The postmark on the package is illegible. However, the address label on the package discloses that it was received by the Postal Service from petitioner's attorney on February 13, 1991, and delivered to the Court on February 14, 1991, the date on which it was filed.

Respondent filed a motion to dismiss for lack of jurisdiction on the ground that the petition was not filed within the 90-day time period prescribed in section 6213(a). Petitioner filed an objection to respondent's motion to dismiss, to which respondent filed a response as well as a supporting memorandum.

Discussion

Our jurisdiction to redetermine a deficiency depends upon the issuance of a valid notice of deficiency and the timely filing of a petition for redetermination. Levitt v. Commissioner, 97 T.C. 437, 441 (1991); Pyo v. Commissioner, 83 T.C. 626, 632

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Bluebook (online)
1992 T.C. Memo. 300, 63 T.C.M. 3058, 1992 Tax Ct. Memo LEXIS 321, Counsel Stack Legal Research, https://law.counselstack.com/opinion/joiner-v-commissioner-tax-1992.