Pete James Enterprises, Inc. v. Commissioner

1978 T.C. Memo. 243, 37 T.C.M. 1045, 1978 Tax Ct. Memo LEXIS 272
CourtUnited States Tax Court
DecidedJune 29, 1978
DocketDocket No. 10895-77.
StatusUnpublished

This text of 1978 T.C. Memo. 243 (Pete James Enterprises, Inc. 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
Pete James Enterprises, Inc. v. Commissioner, 1978 T.C. Memo. 243, 37 T.C.M. 1045, 1978 Tax Ct. Memo LEXIS 272 (tax 1978).

Opinion

PETE JAMES ENTERPRISES, INC., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Pete James Enterprises, Inc. v. Commissioner
Docket No. 10895-77.
United States Tax Court
T.C. Memo 1978-243; 1978 Tax Ct. Memo LEXIS 272; 37 T.C.M. (CCH) 1045; T.C.M. (RIA) 78243;
June 29, 1978, Filed

*272 Held: Respondent's motion to dismiss for lack of jurisdiction because petition not timely filed granted. Petition received by Court 7 days late. Envelope in which petition was mailed bore a timely private postage meter date but it also bore a United States Postal Service postmark that was 1 day late. The United States postmark date is controlling.Sec. 301.7502-1(c)(iii)(b), Proced. & Admin. Regs.

Louis M. Lookofsky, for the petitioner.
Kenneth G. Gordon, for the respondent.

DRENNEN

MEMORANDUM OPINION

DRENNEN, Judge: This case is before the Court on respondent's motion to dismiss for*273 lack of jurisdiction because the petition was not timely filed. At the hearing evidence was received in the form of testimony from counsel for petitioner who prepared and mailed the petition, and the parties were given the opportunity to file briefs.

The statutory notice of deficiency was mailed to petitioner on July 25, 1977. The 90-day period during which a petition to this Court must be filed expired on Sunday, October 23, 1977. The following Monday, October 24, 1977, was a legal holiday in the District of Columbia. Consequently, the period during which the petition had to be filed in order to be timely was extended until Tuesday, October 25, 1977. Sec. 6213(a), I.R.C. 1954.

According to the testimony received, counsel for petitioner completed preparation of the petition to this Court around 9:30 or 10:00 p.m. on October 25, 1977, in his Beverly Hills, Calif., office. Counsel stamped the properly addressed envelope containing the petition with a private postage meter located in his offices with the postmark date October 25, 1977. Counsel then left his offices and placed the envelope in the mail box located in the same building prior to midnight. Counsel did not know*274 the time of the last mail pickup in the building. The envelope was postmarked by the United States Postal Service in the p.m. of October 26, 1977. The petition was received by this Court at its Washington, D.C., address at 9:04 a.m. on October 31, 1977--seven days after the last date prescribed for timely filing of taxpayer's petition.

Petitioner believes that the issue to be resolved is whether the 7-day interval between deposit in the mailbox and receipt by the Tax Court precludes timely filing of the petition. However, this argument assumes that the controlling postmark is the one made by the private postage meter and not the postmark made by the United States Postal Service.

Respondent argues that the petition was not timely filed because the petition was not mailed until the day after the last date prescribed for timely filing of this petition. With some reluctance we must agree with respondent's contention. 1

*275 Section 7502, I.R. C. 1954, provides in pertient part that:

(a) General Rule.--

(1) Date of delivery.--If any* * * document required to be filed * * * within a prescribed period or on or before a prescribed date under authority of any provision of the internal revenue laws is, after such period or such date, delivered by the United States mail to the * * * office with which such * * * document is required to be filed, * * * the date of the Unted States postmark stamped on the cover in which such * * * document * * * is mailed shall be deemed to be the date of delivery* * *.

(2) Mailing requirements.--This subsection shall apply only if--

(A) the postmark date falls within the prescribed period or on or before the prescribed date--

(i) for the filing (including any extension granted for such filing) of the * * * other document * * *

(B) the return * * * document * * * was, within the time prescribed in subparagraph (A), deposited in the mail in the United States in an envelope or other appropriate wrapper, postage prepaid, properly addressed to the * * * office with which the * * * document is required to be filed * * *.

(b) Postmarks.--This section shall apply in*276 the case of postmarks not made by the United States Postal Service only if and to the extent provided by regulations prescribed by the Secretary.

Section 301.7502-1(c)(1)(iii)(b), Proced. & Admin. Regs., states that "[if] the envelope [containing the petition] has a postmark made by the United States [Postal Service] in addition to the postmark not so made, the postmark which was not made by the United States [Postal Service] shall be disregarded, and whether the envelope was mailed in accordance with this subdivision shall be determined solely by applying the rule of (a) of this subdivision." Section 301.7502-1(c)(1)(iii)(a), Proced. & Admin. Regs., states that:

If the postmark on the envelope * * * is made by the United States [Postal Service], such postmark must bear a date on or before the last date, or the last day of the period, prescribed for filing the document.

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Related

Albert G. Rich v. Commissioner of Internal Revenue
250 F.2d 170 (Fifth Circuit, 1957)
Edward J. Healy v. Commissioner of Internal Revenue
351 F.2d 602 (Ninth Circuit, 1965)
Fishman v. Commissioner
51 T.C. 869 (U.S. Tax Court, 1969)

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Bluebook (online)
1978 T.C. Memo. 243, 37 T.C.M. 1045, 1978 Tax Ct. Memo LEXIS 272, Counsel Stack Legal Research, https://law.counselstack.com/opinion/pete-james-enterprises-inc-v-commissioner-tax-1978.