Pack v. Comm'r

2002 T.C. Memo. 284, 84 T.C.M. 551, 2002 Tax Ct. Memo LEXIS 293
CourtUnited States Tax Court
DecidedNovember 19, 2002
DocketNo. 7830-02
StatusUnpublished

This text of 2002 T.C. Memo. 284 (Pack 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
Pack v. Comm'r, 2002 T.C. Memo. 284, 84 T.C.M. 551, 2002 Tax Ct. Memo LEXIS 293 (tax 2002).

Opinion

EMMITT HASKELL PACK, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Pack v. Comm'r
No. 7830-02
United States Tax Court
T.C. Memo 2002-284; 2002 Tax Ct. Memo LEXIS 293; 84 T.C.M. (CCH) 551;
November 19, 2002, Filed

*293 Respondent's motion to dismiss granted. Case dismissed for lack of jurisdiction.

Emmitt Haskell Pack, pro se.
Michael J. O'Brien and Richard Charles Grosenick, for respondent.
Armen, Robert N., Jr.

ARMEN

MEMORANDUM OPINION

ARMEN, Special Trial Judge: This matter is before the Court on respondent's Motion to Dismiss for Lack of Jurisdiction. With regard to the taxable year 1999, respondent contends that this case should be dismissed on the ground that the petition was not timely filed pursuant to section 6213(a) or section 7502. 1 With regard to the taxable year 2000, respondent contends that this case should be dismissed on the ground that no notice of deficiency, as authorized by section 6212 and required by section 6213(a) to form the basis for a petition to this Court, has been sent to petitioner, nor has respondent made any other determination that would serve to confer jurisdiction on this Court.

*294 As discussed in detail below, we shall grant respondent's motion to dismiss.

Background

In January 1999, Emmitt Haskell Pack (petitioner) and Jennie S. Pack (Ms. Pack) filed electronically a joint Federal income tax return for the taxable year 1998. In conjunction with the filing of their return, petitioner and Ms. Pack, as well as their return preparer, executed Form 8453 (1998), U.S. Individual Income Tax Declaration for Electronic Filing, on January 29, 1999. The address listed on the Form 8453 was Rt. 1, Box 2115, Stilwell, OK 74960 (the Stilwell address).

In February 2000, petitioner filed electronically a Federal income tax return for the taxable year 1999. In conjunction with the filing of his return, petitioner, as well as his return preparer, executed Form 8453 (1999), U.S. Individual Income Tax Declaration for an IRS e-file Return, on February 4, 2000. The address listed on the Form 8453 was the Stilwell address.

Petitioner's return for 1999, which was filed on a head- of-household basis, reported zero income tax and claimed a refund in the amount of $ 4,231. The latter amount consisted of withholding in the amount of $ 481 and an earned income credit in the amount of*295 $ 3,750. Respondent never issued a refund check but rather "froze" petitioner's account.

In March 2000, respondent commenced an examination of petitioner's 1999 return. The examination focused on filing status, dependency exemption deductions, and the earned income credit.

On or about September 1, 2000, respondent issued a 30-day letter proposing a deficiency in petitioner's Federal income tax for 1999. The 30-day letter stated, in part, as follows:

   Thank you for your replies dated April 4 and May 24, 2000. To

   follow is a list of what we received: * * * These documents do

   not allow us to establish that you meet the requirements for

   these issues involved. * * *

On December 6, 2000, respondent sent a notice of deficiency to petitioner. In the notice, respondent determined a deficiency in petitioner's Federal income tax for the taxable year 1999 in the amount of $ 4,714. The deficiency was attributable principally to the disallowance of the earned income credit ($ 3,750); the balance of the deficiency ($ 964) was attributable to a change in petitioner's filing status (from head-of-household to married filing separately) and the disallowance of two*296 dependency exemption deductions.

Respondent sent the notice of deficiency to petitioner by certified mail addressed to him at the Stilwell address. However, petitioner did not receive the notice, and, on or about January 17, 2001, it was returned to respondent by the Postal Service. 2 Thereafter, on June 11, 2001, respondent assessed the deficiency against petitioner.

On June 14, 2001, petitioner filed a Federal income tax return (Form 1040) for the taxable year 2000. On his return, petitioner listed his address as 13410 North Webster Road, Tahlequah, Oklahoma 74464. 3 On his return, petitioner reported zero tax and claimed*297 a refund in the amount of $ 401. The latter amount consisted of withholding in the amount of $ 185 and an earned income credit in the amount of $ 216. Respondent applied $ 185 of the claimed refund against petitioner's outstanding liability for 1999. 4

On April 24, 2002, the Court received and filed an (imperfect) petition. 5 The petition, which is dated April 12, 2002, and*298 is little more than a request for forms to file a petition for redetermination, does focus on the fact that "my 1999 Income Tax Refund check was stopped". The petition arrived at the Court by regular, first-class mail in an envelope bearing a postmark date of April 15, 2002.

On May 31, 2002, petitioner filed an amended petition.

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Bluebook (online)
2002 T.C. Memo. 284, 84 T.C.M. 551, 2002 Tax Ct. Memo LEXIS 293, Counsel Stack Legal Research, https://law.counselstack.com/opinion/pack-v-commr-tax-2002.