Laforge v. Comm'r

2013 T.C. Memo. 183, 106 T.C.M. 106, 2013 Tax Ct. Memo LEXIS 192
CourtUnited States Tax Court
DecidedAugust 12, 2013
DocketDocket No. 7997-12L
StatusUnpublished
Cited by1 cases

This text of 2013 T.C. Memo. 183 (Laforge 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
Laforge v. Comm'r, 2013 T.C. Memo. 183, 106 T.C.M. 106, 2013 Tax Ct. Memo LEXIS 192 (tax 2013).

Opinion

B. GORDON LAFORGE, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Laforge v. Comm'r
Docket No. 7997-12L
United States Tax Court
T.C. Memo 2013-183; 2013 Tax Ct. Memo LEXIS 192; 106 T.C.M. (CCH) 106;
August 12, 2013, Filed
*192

Decision will be entered for respondent.

Joshua B. Beisker, for petitioner.
Rachel L. Schiffman, for respondent.
VASQUEZ, Judge.

VASQUEZ
MEMORANDUM FINDINGS OF FACT AND OPINION

VASQUEZ, Judge: Pursuant to section 6330(d), 1 petitioner seeks review of respondent's determination to proceed with collection by levy of his unpaid 2005 *184 and 2006 Federal income tax liabilities. The issue for decision is whether respondent abused his discretion in sustaining the proposed levy action for 2005 and 2006.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts and the attached exhibits are incorporated herein by this reference. At the time petitioner filed his petition, he was a resident of New Jersey.

On June 13, 2007, the Internal Revenue Service (IRS) mailed petitioner Letter 1058, Final Notice of Intent to Levy and Notice of Your Right to a Hearing, with respect to his outstanding income tax liabilities for 1993, 1994, 1995, 1996, 2000, 2001, and 2002.

On January 3, *193 2011, the IRS mailed petitioner two Letters 1058, one relating to petitioner's outstanding income tax liabilities for 2000, 2001, 2002, 2005, and 2006 and one relating to his outstanding income tax liabilities for 1993, 1994, 1995, 1996, 2000, 2001, 2002, 2005, and 2006.

On January 14, 2011, the IRS received petitioner's Form 12153, Request for a Collection Due Process or Equivalent Hearing (first Form 12153), relating to taxable years 2000, 2001, 2002, 2005, and 2006. On the first Form 12153 petitioner checked the boxes for an installment agreement and an *185 offer-in-compromise (OIC). On February 8, 2011, petitioner submitted a second Form 12153 (second Form 12153) relating to taxable years 1993, 1994, 1995, 1996, 2000, 2001, 2002, 2005, and 2006. On the second Form 12153 petitioner also checked the boxes for an installment agreement and an OIC.

On January 12, 2012, Settlement Officer Carl McAdams, IRS Office of Appeals (Appeals), mailed petitioner a letter informing him that Appeals had received his request for a collection due process (CDP) hearing. Settlement Officer McAdams scheduled a telephone conference for February 2, 2012. The letter informed petitioner that he could request *194 a face-to-face hearing within 14 days from the date of the letter (i.e., by January 26, 2012).

In the letter, Settlement Officer McAdams stated that he could consider collection alternatives, such as an installment agreement or an OIC, only if petitioner provided: (1) a completed Form 433-A, Collection Information Statement for Wage Earners and Self-Employed Individuals, including all required attachments, i.e., earnings statements, bills or statements for monthly recurring expenses for three months before the date of the Form 433-A and statements for checking and savings accounts; (2) proof of estimated tax payments for 2011; and (3) signed Federal income tax returns for 2007, 2008, 2009, and 2010 (which had not been filed). Settlement Officer McAdams instructed petitioner to submit a *186 completed Form 433-A and the listed items within 14 days (i.e., by January 26, 2012) and informed petitioner that he could not consider collection alternatives without this information.

On January 23, 2012, petitioner's representative, Douglas R. Eisenberg, faxed Settlement Officer McAdams a letter requesting a face-to-face conference. At the time of this request petitioner had not submitted the Form *195 433-A or the information Settlement Officer McAdams had requested. Petitioner failed to provide the requested information by the January 26, 2012, deadline. Respondent denied petitioner's request for a face-to-face hearing.

On February 2, 2012, Settlement Officer McAdams contacted Mr. Eisenberg at the scheduled time for the telephone CDP hearing. Settlement Officer McAdams informed Mr. Eisenberg that he could not consider petitioner's request for a CDP hearing for taxable years 1993, 1994, 1995, 1996, 2000, 2001, and 2002 because petitioner had not submitted a timely request as to those years. Settlement Officer McAdams informed Mr. Eisenberg that petitioner's CDP hearing requests for 2005 and 2006 were timely.

Settlement Officer McAdams informed Mr. Eisenberg that he had not received the documents requested in his letter dated January 12, 2012. Mr. Eisenberg stated that he had mailed the tax returns for 2007 through 2010 and a *187 Form 433-A to Settlement Officer McAdams on February 1, 2012. Settlement Officer McAdams informed Mr. Eisenberg that if the Form 433-A was not received or was incomplete, he would make a determination based on the administrative file.

On February 3, 2012, Settlement *196 Officer McAdams received a letter from Mr. Eisenberg enclosing a Form 433-A, tax returns for 2007, 2008, 2009, and 2010, a credit card statement for one month, a utility bill for one month, and a Writ of Wage Execution. 2 The letter stated that the only outstanding item was the proof of estimated tax payments for 2011, which needed to be discussed.

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2014 T.C. Memo. 10 (U.S. Tax Court, 2014)

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Bluebook (online)
2013 T.C. Memo. 183, 106 T.C.M. 106, 2013 Tax Ct. Memo LEXIS 192, Counsel Stack Legal Research, https://law.counselstack.com/opinion/laforge-v-commr-tax-2013.