Keith and Cherie Orum v. Commissioner

123 T.C. No. 1
CourtUnited States Tax Court
DecidedJuly 1, 2004
Docket18317-02L
StatusUnknown

This text of 123 T.C. No. 1 (Keith and Cherie Orum 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
Keith and Cherie Orum v. Commissioner, 123 T.C. No. 1 (tax 2004).

Opinion

123 T.C. No. 1

UNITED STATES TAX COURT

KEITH AND CHERIE ORUM, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent

Docket No. 18317-02L. Filed July 1, 2004.

Ps filed joint Federal income tax returns for 1998 and 1999 but did not make full payment of the tax liabilities. On June 23, 2000, R sent Ps by certified mail a Notice of Intent to Levy and Notice of Your Right to a Hearing for 1998. Ps did not file a sec. 6330, I.R.C., hearing request in response to this notice. On Dec. 14, 2001, R sent Ps a Notice of Intent to Levy and Notice of Your Right to a Hearing for 1998 and 1999. P sent R a sec. 6330, I.R.C., hearing request dated Dec. 31, 2001, for 1998 and 1999. In February 2002, Ps submitted an offer-in- compromise. R rejected the request on the basis of financial information submitted by Ps. R granted Ps an equivalent hearing for 1998 and a sec. 6330, I.R.C., hearing for 1999. During the hearings, R requested additional financial information from Ps by Aug. 9, 2002, to consider an installment agreement. Ps failed to timely provide the additional information. R issued a decision letter for 1998 and a - 2 -

notice of determination for 1999 which concluded that the proposed collection activities would be sustained. Ps filed a petition to dispute the decision letter and the notice of determination. R filed a motion to dismiss for lack of jurisdiction with respect to 1998. 1. Held: The June 23, 2000, notice of intent to levy was sent to the last known address of Ps. 2. Held, further, R’s motion to dismiss for lack of jurisdiction is granted. Ps did not file a sec. 6330, I.R.C., hearing request within 30 days of the June 23, 2000, notice of intent to levy. See sec. 6330(a)(3), I.R.C. The Dec. 14, 2001, notice of intent to levy did not entitle petitioners to a sec. 6330, I.R.C., hearing. Sec. 301.6330-1(b)(2), Q&A-B2, Q&A- B4, Proced. & Admin. Regs. The decision letter subsequently issued does not provide a basis for the Court’s jurisdiction under sec. 6330(d)(1), I.R.C. See Moorhous v. Commissioner, 116 T.C. 263, 270 (2001); Kennedy v. Commissioner, 116 T.C. 255, 262 (2001). 3. Held, further, R did not abuse his discretion in issuing the notice of determination for 1999, and the proposed collection action is sustained.

Keith Orum, pro se.

Sean R. Gannon, for respondent.

OPINION

HAINES, Judge: Respondent sent petitioner Keith Orum (Mr.

Orum) and petitioner Cherie Orum (Mrs. Orum) a Decision Letter

Concerning Equivalent Hearing Under Section 6320 and/or 6330

(decision letter) for 1998 and a Notice of Determination

Concerning Collection Action(s) Under Section 6320 and/or 6330

(notice of determination) for 1999. - 3 -

The issues for decision are: (1) Whether the Court lacks

jurisdiction under section 6330(d)(1)1 with regard to 1998; and

(2) whether there was an abuse of discretion in the determination

that the proposed collection action for 1999 should be sustained.

Background

Some of the facts have been stipulated. The stipulated

facts and the attached exhibits are incorporated herein by this

reference.

At the time of the filing of the petition, petitioners

resided in La Grange Park, Illinois. Mr. Orum has lived at the

same address his entire life. Mr. Orum is a patent attorney, and

Mrs. Orum is a zookeeper.

Petitioners filed joint Federal income tax returns for 1998

and 1999 on November 29, 1999, and November 20, 2000,

respectively, but did not make full payments of the tax

liabilities when the returns were filed.

On November 29, 1999, respondent assessed tax liabilities of

$63,683 plus additions to tax for 1998. Respondent issued

petitioners three notices of demand for payment of the 1998 tax

liabilities and additions to tax on November 29, 1999, January 3,

2000, and February 7, 2000.

1 Unless otherwise indicated, all section references are to the Internal Revenue Code, as amended. Amounts are rounded to the nearest dollar. - 4 -

On June 23, 2000, respondent sent petitioners, by certified

mail, a Letter 1058, Notice of Intent to Levy and Notice of Your

Right to a Hearing, for 1998 (June 23, 2000, notice). The return

receipt for the June 23, 2000, notice was signed on June 26,

2000.

On November 20, 2000, respondent assessed tax liabilities of

$38,661 plus additions to tax for 1999. Respondent issued two

notices of demand for payment of the 1999 tax liabilities and

additions to tax on November 20 and December 11, 2000.

On January 5, 2001, petitioners entered into an installment

agreement for the payment of the 1998 and 1999 tax liabilities.

Petitioners did not make all of the monthly payments as required

by the installment agreement schedule. By December 2001, the

installment agreement was terminated.

On December 14, 2001, respondent sent petitioners a Final

Notice--Notice of Intent to Levy and Notice of Your Right to a

Hearing for 1998 and 1999 (December 14, 2001, notice). The taxes

owed with statutory additions, as set forth in the final notice,

were $41,435 and $44,345 for 1998 and 1999, respectively.

Mr. Orum sent respondent a Form 12153, Request for a

Collection Due Process Hearing (hearing request), for 1998 and

1999, dated December 31, 2001. On the hearing request,

petitioners stated: “Desires continuation of payment plan. Will

contact IRS agent by phone to discuss. Have been working with - 5 -

agents in Chicago.” Mr. Orum proposed to Settlement Officer

Susan L. Vuicich (Ms. Vuicich) that petitioners be permitted to

satisfy the 1998 and 1999 tax liabilities through another

installment agreement.

On or about February 7, 2002, petitioners submitted a Form

656, Offer in Compromise, and Form 433-A, Collection Information

Statement for Wage Earners and Self-Employed Individuals.

On June 20, 2002, respondent sent Mr. Orum a letter

scheduling an equivalent hearing for 1998 and a section 6330

hearing for 1999 by telephone for July 23, 2002, and requesting

Mrs. Orum’s signature on the hearing request. The June 20, 2002,

letter also stated:

You are not entitled to a Collection Due Process Hearing for 1998. According to our records a final notice was sent to you by certified mail for this year on June 22, 2000.[2] However, you are entitled to an equivalent hearing. I have enclosed Publication 1660, which explains an equivalent hearing.

You marked Form 12153 appealing the filed Notice of Federal Tax Lien. You are not entitled to a hearing on this issue as our records show no lien has been filed.

You subsequently submitted an offer in compromise under doubt as to collectibility and Effective Tax Administration. I have returned this offer to you under separate cover. You can resubmit your offer once you are current with filing your tax returns. However, let me explain why your offer would not be accepted. It appears that based upon the financial information you provided you have the ability to

2 We note that the Form 4340, Certificate of Assessments, Payments, And Other Specified Matters, and the ACS LT11 Certified Mail List report that this notice was sent on June 23, 2000. - 6 -

pay in full over the life of the collection statute, therefore there is no doubt as to collectibility. The explanation you provided for Effective Tax Administration does not meet the economic hardship criteria for consideration of your offer.

Our records show that you have not made any estimated payments for 2001 and 2002.

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