Pepper Pot Trust v. Comm'r

2003 T.C. Memo. 287, 86 T.C.M. 443, 2003 Tax Ct. Memo LEXIS 289
CourtUnited States Tax Court
DecidedOctober 7, 2003
DocketNo. 9111-02L; No. 9112-02L; No. 9113-02L; No. 9447-02L
StatusUnpublished

This text of 2003 T.C. Memo. 287 (Pepper Pot Trust 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
Pepper Pot Trust v. Comm'r, 2003 T.C. Memo. 287, 86 T.C.M. 443, 2003 Tax Ct. Memo LEXIS 289 (tax 2003).

Opinion

PEPPER POT TRUST, DAVID-KEITH JACOBS, TRUSTEE, 1 Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Pepper Pot Trust v. Comm'r
No. 9111-02L; No. 9112-02L; No. 9113-02L; No. 9447-02L
United States Tax Court
T.C. Memo 2003-287; 2003 Tax Ct. Memo LEXIS 289; 86 T.C.M. (CCH) 443;
October 7, 2003, Filed

*289 Respondent's motion to dismiss granted. Respondent's motions for summary judgment and to impose penalty on each trust granted.

David-Keith Jacobs (Trustee), for petitioners.
Huong T. Duong, for respondent.
Colvin, John O.

COLVIN

MEMORANDUM OPINION

COLVIN, Judge: This matter is before the Court on respondent's motions to dismiss for lack of prosecution, and for summary judgment and to impose a penalty on each trust under section 6673. 2 Respondent filed motions for summary judgment and to impose a penalty under section 6673 in each case. Respondent made the motion to dismiss at the time set for trial, for which David-Keith Jacobs (Jacobs), the trustee of each trust, failed to appear. 3 For reasons stated below, we will grant respondent's motion to dismiss for lack of prosecution and so much of respondent's motions for summary judgment and to impose a penalty under section 6673 as asks us to impose a penalty on each trust under section 6673. 4

*290              Background

The trusts' mailing address was in Clovis, California, when the petitions were filed.

A. Notices of Deficiency, Notices of Intent To Levy, and Federal Tax Liens

The trusts received notices of deficiency determining deficiencies in the fiduciary income taxes of each trust for 1996-97.

On April 10, 2001, respondent issued to each trust a Final Notice of Intent to Levy and Notice of Your Right to a Hearing relating to each trust's 1996-97 tax years as follows:

   Pepper Pot Trust   1996   $ 1,671.10

             1997   27,511.54

   Tuffy Ruffy Trust   1996   59,840.09

             1997   90,344.89

   Susan Bell Trust   1996   11,357.75

             1997   44,049.10

   Brandy Dandy Trust  1996   21,323.94

             1997   56,283.41

On April 12, 2001, respondent filed with the Fresno County Recorder's Office a notice of Federal tax lien relating to each trust's income tax liabilities for tax years 1996-97. On April 17, 2001, respondent sent a notice to each trust that the notice*291 of Federal tax lien had been filed.

B. The Section 6330(b) Hearing

On May 3, 2001, the trusts each filed a Form 12153, Request for a Collection Due Process Hearing, for tax years 1996-97 in which they contended that: (1) Section 861 and the regulations thereunder preclude the income at issue in these cases from being taxable, and (2) the regulations upon which respondent relies are invalid because they were not published in the Federal Register; and asked that respondent give them case citations showing that income is taxable.

In March 2002, respondent's Appeals Office conducted a section 6330(b) hearing in the trusts' cases for tax years 1996-97. Shirley Clingenpeel (Clingenpeel), one of the grantors, and Jacobs, the trustee, attended the hearing. A reporter chosen by the trusts recorded and transcribed the hearing.

At the hearing, the hearing officer told Clingenpeel and Jacobs that he had reviewed the administrative files and the transcripts of accounts. He used Forms 4340, Certificate of Assessments and Payments, to verify the assessments; reviewed the administrative record to verify that the requirements of all applicable laws had been met; and concluded that the lien and*292 levy notices had been issued properly.

At the hearing, Clingenpeel and Jacobs did not offer any collection alternatives or challenge the appropriateness of the intended method of collection. Jacobs gave the hearing officer a document which asked him to produce or admit to 25 items. At the hearing, Jacobs asked for Form 23C, Assessment Certificate -- Summary Record of Assessments. The Appeals officer told Jacobs that he would not provide Forms 23C but he would send the trusts copies of the Forms 4340 to verify the assessments. Sometime after the hearing, respondent gave each trust Forms 2866, Certificate of Official Record, and Forms 4340, which showed that the amounts at issue were properly assessed.

C. The Notice of Determination

On April 10, 2002, respondent sent each trust a Notice of Determination Concerning Collection Action(s) Under Section 6320 and/ or

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2003 T.C. Memo. 287, 86 T.C.M. 443, 2003 Tax Ct. Memo LEXIS 289, Counsel Stack Legal Research, https://law.counselstack.com/opinion/pepper-pot-trust-v-commr-tax-2003.