Phillipson v. Comm'r

2006 T.C. Summary Opinion 148, 2006 Tax Ct. Summary LEXIS 52
United States Tax Court·Decided September 14, 2006·No. No. 11285-05S·Unpublished

Opinion

HELENA ANNE PHILLIPSON, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Phillipson v. Comm'r
No. 11285-05S
United States Tax Court
T.C. Summary Opinion 2006-148; 2006 Tax Ct. Summary LEXIS 52;
September 14, 2006, Filed

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

Helena Anne Phillipson, pro se. Lauren B. Epstein, for respondent.
Couvillion, D. Irvin

D. IRVIN COUVILLION

COUVILLION, Special Trial Judge: This case was heard pursuant to section 7463 in effect when the petition was filed. 1 The decision to be entered is not reviewable by any other court, and this opinion should not be cited as authority.

This case involves petitioner's application under section 6015 for relief from joint and several liability. Specifically, petitioner seeks a refund in accordance with respondent's determination that she is entitled to relief under section 6015(c) for taxable year 2001.

Some of the facts were stipulated. Those facts, with the annexed exhibits, are so found and are made part hereof. Petitioner's legal residence at the*53 time the petition was filed was Dedham, Massachusetts.

There are no relevant disputed facts in this case. On a joint Federal income tax return for the taxable year 2001, petitioner and her husband Douglas Phillipson failed to report $ 21,610 of nonemployee compensation earned by Mr. Phillipson and $ 22 of dividends received by petitioner. On May 5, 2003, in accordance with the consent to assessment by petitioner and her husband, respondent assessed a deficiency of $ 6,066 plus an accuracy-related penalty under section 6662(a) of $ 1,213 for the unreported income for the year at issue.

Mr. Phillipson passed away on December 5, 2003. Prior to his death, he and petitioner had entered into an installment agreement with the IRS for their 2001 tax liability. On January 13, 2004, petitioner filed with the IRS a Form 8857, Request for Innocent Spouse Relief, seeking relief from the 2001 tax liability. Petitioner continued to pay on the installment agreement after her husband's death and after she submitted the Form 8857. In a notice of determination issued on July 30, 2004, respondent granted petitioner full relief under section 6015(c) from the joint 2001 tax liability. The notice also*54 stated that refunds were not allowed with respect to relief granted under section 6015(c). As of August 12, 2004, the balance due for the taxable year 2001 had been paid in full.

Petitioner filed a petition with this Court following the July 30, 2004, notice of determination. She seeks a refund of the amounts paid pursuant to the installment agreement while respondent was considering her request for relief under section 6015. Respondent contends that a refund is barred under section 6015(g)(3).

Section 6015, as amended, was enacted in 1998 to replace former section 6013(e). Internal Revenue Service Restructuring and Reform Act of 1998, Pub. L. 105-206, sec. 3201, 112 Stat. 685, 734. Section 6015 provides relief from joint and several liability for certain taxpayers who file a joint Federal income tax return. In general terms, there are three avenues of relief under section 6015: section 6015(b) provides relief with respect to certain erroneous items on the return, section 6015(c) provides for a separation of liability for separated taxpayers, and section 6015(f) provides equitable relief for taxpayers who otherwise do not qualify for relief under either of the aforementioned provisions. *55 As a general rule, taxpayers who qualify for relief under section 6015(b) or (f), but not

Free access — add to your briefcase to read the full text and ask questions with AI

Phillipson v. Comm'r, 2006 T.C. Summary Opinion 148, 2006 Tax Ct. Summary LEXIS 52 (tax 2006).

2006 T.C. Summary Opinion 148 (Phillipson v. Comm'r) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Fernandez v. Commissioner
114 T.C. No. 21 (U.S. Tax Court, 2000)
Green v. Commissioner
59 T.C. No. 44 (U.S. Tax Court, 1972)
Zimmerman v. Commissioner
71 T.C. 367 (U.S. Tax Court, 1978)