PAPPAS v. COMMISSIONER

2003 T.C. Summary Opinion 79, 2003 Tax Ct. Summary LEXIS 83
CourtUnited States Tax Court
DecidedJune 19, 2003
DocketNo. 9750-01S
StatusUnpublished

This text of 2003 T.C. Summary Opinion 79 (PAPPAS 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
PAPPAS v. COMMISSIONER, 2003 T.C. Summary Opinion 79, 2003 Tax Ct. Summary LEXIS 83 (tax 2003).

Opinion

ANDREA PAPPAS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
PAPPAS v. COMMISSIONER
No. 9750-01S
United States Tax Court
T.C. Summary Opinion 2003-79; 2003 Tax Ct. Summary LEXIS 83;
June 19, 2003, Filed

*83 PURSUANT TO INTERNAL REVENUE CODE SECTION 7463(b), THIS OPINION MAY NOT BE TREATED AS PRECEDENT FOR ANY OTHER CASE.

Leon Lebensbaum and Morris R. Sherman, for petitioner.
Patricia A. Riegger, for respondent.
Goldberg, Stanley J.

Goldberg, Stanley J.

GOLDBERG, Special Trial Judge: This case was heard pursuant to the provisions of section 7463 of the Internal Revenue Code in effect at the time the petition was filed. The decision to be entered is not reviewable by any other court, and this opinion should not be cited as authority. Unless otherwise indicated, subsequent section references are to the Internal Revenue Code in effect for the year at issue, and all Rule references are to the Tax Court Rules of Practice and Procedure.

This matter is before the Court on respondent's Motion to Dismiss for Lack of Jurisdiction on the ground that the notice of deficiency is invalid because respondent did not determine a "deficiency" within the meaning of sections 6211 and 6665. As explained below, we shall grant respondent's motion to dismiss.

Background

On July 11, 2001, respondent mailed petitioner a notice of deficiency. The only determination made*84 by respondent in the notice of deficiency was that petitioner was liable for an addition to tax of $ 6,570.68 for the 1993 taxable year, pursuant to section 6651(a)(1).

On July 31, 2001, the Court received a letter from petitioner which we have treated as an imperfect petition. On August 6, 2001, we ordered that petitioner file a proper amended petition on or before October 5, 2001.

On October 3, 2001, petitioner timely filed with the Court an amended petition, challenging the determination that she was liable for the addition to tax for 1993 and placing in dispute a "deficiency" of $ 29,203 for that year. At the time the petition was filed, petitioner resided in Commack, New York.

On December 20, 2001, the Court notified the parties that the case was set for trial at the Westbury, New York, trial session beginning on March 11, 2002. On February 12, 2002, petitioner filed a motion for a continuance from the March 11, 2002, trial date. By order dated March 11, 2002, the Court granted petitioner's motion for a continuance, retained jurisdiction, and ordered the parties to file a status report on or before May 10, 2002.

On May 10, 2002, respondent filed a status report with the Court, *85 expressing a concern that the Court may lack jurisdiction in this case. Respondent's status report stated that the National Office of the Internal Revenue Service was reviewing the matter and that respondent subsequently expected to file a motion to dismiss for lack of jurisdiction.

On May 16, 2002, respondent filed a Motion to Dismiss for Lack of Jurisdiction on the ground that the notice of deficiency is invalid because respondent did not determine a "deficiency" within the meaning of sections 6211 and 6665. On May 21, 2002, the Court ordered petitioner to file an objection, if any, to respondent's motion to dismiss on or before June 21, 2002.

On June 19, 2002, petitioner filed an objection to respondent's motion to dismiss. On September 9, 2002, pursuant to an order of the Court, respondent's motion was called for hearing at the Court's trial session in New York, New York.

Upon the basis of the record, we summarize the facts as follows. Sometime in January 1997, petitioner filed her 1993 Form 1040, U.S. Individual Income Tax Return. Petitioner reported no income tax liability on the 1993 tax return.

Subsequently, in November 1999, petitioner filed an amended income tax return,*86 Form 1040X, Amended U.S. Individual Income Tax Return, for the 1993 taxable year. The amount of tax shown on the amended return was $ 29,203.

On December 6, 1999, respondent processed petitioner's amended tax return and assessed the $ 29,203 of income tax due, as reported by petitioner on the Form 1040X.

After processing the amended return, respondent determined that petitioner was liable for an addition to tax of $ 6,570.68, pursuant to section 6651(a)(1), for failure to file her 1993 income tax return within the time prescribed by law. The addition to tax was computed based on the $ 29,203 of tax shown on the amended tax return. On December 6, 1999, respondent assessed the addition to tax of $ 6,570.68.

Petitioner asserts that on January 31, 2000, she filed a second amended tax return, Form 1040X, indicating that the tax reported on the first amended return was erroneously computed. Petitioner claims that on the second amended return she reported no tax liability for the 1993 taxable year. Petitioner further asserts that respondent rejected the second amended return as untimely.

Discussion

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Bluebook (online)
2003 T.C. Summary Opinion 79, 2003 Tax Ct. Summary LEXIS 83, Counsel Stack Legal Research, https://law.counselstack.com/opinion/pappas-v-commissioner-tax-2003.