Peter D. Dahlin Atty. at Law, P.S. v. Comm'r

2007 T.C. Memo. 310, 94 T.C.M. 388, 2007 Tax Ct. Memo LEXIS 312
CourtUnited States Tax Court
DecidedOctober 11, 2007
DocketNo. 11555-05L
StatusUnpublished

This text of 2007 T.C. Memo. 310 (Peter D. Dahlin Atty. at Law, P.S. 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
Peter D. Dahlin Atty. at Law, P.S. v. Comm'r, 2007 T.C. Memo. 310, 94 T.C.M. 388, 2007 Tax Ct. Memo LEXIS 312 (tax 2007).

Opinion

PETER D. DAHLIN ATTORNEY AT LAW, P.S., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Peter D. Dahlin Atty. at Law, P.S. v. Comm'r
No. 11555-05L
United States Tax Court
T.C. Memo 2007-310; 2007 Tax Ct. Memo LEXIS 312; 94 T.C.M. (CCH) 388;
October 11, 2007, Filed
*312

P filed a petition for judicial review pursuant to sec. 6330, I.R.C., in response to a determination by R that levy action is appropriate.

Held: R's determination to proceed with collection by levy is sustained.

Robert E. Kovacevich, for petitioner.
Catherine L. Campbell, for respondent.
Wherry, Robert A., Jr.

ROBERT A. WHERRY, JR.

MEMORANDUM FINDINGS OF FACT AND OPINION

WHERRY, Judge: This case is before the Court on a petition for judicial review of a Notice of Determination Concerning Collection Action(s) Under Section 6320 and/or 6330. 1 The issue for decision is whether respondent may proceed with collection by levy of petitioner's 2000 corporate income tax.

FINDINGS OF FACT

Some of the facts have been stipulated by the parties. The stipulations, with accompanying exhibits, are incorporated herein by this reference. At the time the petition was filed petitioner's principal place of business was located in Spokane, Washington.

Petitioner is a professional corporation incorporated under the state laws of Washington, *313 and is wholly owned by Peter Dahlin (Mr. Dahlin), an attorney. For taxable year 2000, petitioner filed Form 1120-X, Amended U.S. Corporation Income Tax Return, that reflected a tax liability of $ 1,463.

On December 9, 2004, respondent mailed to petitioner a Final Notice Of Intent To Levy And Notice Of Your Right To A Hearing, which included, inter alia, petitioner's 2000 corporate Federal income tax. Utilizing Form 12153, Request for a Collection Due Process Hearing, petitioner timely requested a "CDP hearing face to face with the hearing officer", and stated its disagreement with the assessment and levy of its corporate tax liability. Petitioner also alleged mistakes in the computation of tax due and complained about "the failure to send 4340 forms with 23C dates". 2

On March 11, 2005, the Appeals officer assigned to petitioner's case, Kathleen Derrick (Ms. Derrick), mailed to petitioner a letter entitled We Received Your Request for A Collection Due Process Hearing And We Need To Advise You On Procedures. The letter informed petitioner that the issues petitioner raised in its Appeals hearing request *314 on Form 12153 were frivolous or groundless. The letter provided:

Appeals does not provide a face-to-face conference if the only items you wish to discuss are those mentioned above. You may, however, have a telephone conference or discuss with us by correspondence any relevant challenges to the filing of the notice of federal tax lien or the proposed levy.

* * * *

If you are interested in receiving a face-to-face conference, you must be prepared to discuss issues relevant to paying your tax liability. These include, for example, offering other ways to pay the taxes you owe, such as an installment agreement or offer in compromise. The Internal Revenue Manuel determines whether Appeals can accept your proposal. If you wish to have a face-to-face conference, please write me within 15 days from the date of this letter and describe the legitimate issues you will discuss.

The letter further provided that petitioner was scheduled for a telephonic hearing on March 30, 2005, at 10 a.m. Additionally, the letter instructed petitioner to fill out Form 433-B, Collection Information Statement for Businesses, and return it by March 28, 2005, so that collection options could be considered. Ms. Derrick *315 attached to the letter "literal transcripts" of petitioner's tax liability.

In response, petitioner mailed a letter, dated March 24, 2005, to Ms. Derrick, which provided that petitioner was requesting a "face to face conference" and "The legitimate issues we wish to discuss are delay and issues of mishandling of this matter." A telephonic hearing was held on March 30, 2005. That same day Ms. Derrick mailed to petitioner a letter that requested specific documents and information that would facilitate the Appeals Office's determination as to whether petitioner was entitled to a face-to-face hearing. The letter requested, inter alia, that petitioner complete and return Form 433-B, a copy of which was attached, and explain with supporting documentation why petitioner did "not owe a tax liability for the Form 1120 for the tax year 2000." The letter informed petitioner that if Ms. Derrick did not receive the relevant information by April 13, 2005, 3 she would issue a notice of determination. As of April 18, 2005, petitioner had not provided the requested information.

On *316 May 20, 2005, respondent mailed to petitioner the above-mentioned Notice of Determination Concerning Collection Action(s) Under Section 6320 and/or

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2007 T.C. Memo. 310, 94 T.C.M. 388, 2007 Tax Ct. Memo LEXIS 312, Counsel Stack Legal Research, https://law.counselstack.com/opinion/peter-d-dahlin-atty-at-law-ps-v-commr-tax-2007.