Rakosi v. Commissioner

1993 T.C. Memo. 68, 65 T.C.M. 1977, 1993 Tax Ct. Memo LEXIS 74
Procedural entryThis page is a short order in Rakosi v. Commissioner. Read the opinion of the Court — 62 T.C.M. 1563
United States Tax Court·Decided March 1, 1993·No. Docket No. 25734-88·Unpublished

Opinion

SHIGEKO RAKOSI, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Rakosi v. Commissioner
Docket No. 25734-88
United States Tax Court
T.C. Memo 1993-68; 1993 Tax Ct. Memo LEXIS 74; 65 T.C.M. (CCH) 1977;
March 1, 1993, Filed

*74 Decision will be entered under Rule 155.

For petitioner: Attila Rakosi (specially recognized).
For respondent: Stephen S. Ash.
WRIGHT

WRIGHT

MEMORANDUM FINDINGS OF FACT AND OPINION

WRIGHT, Judge: Respondent determined the following deficiencies in and additions to petitioner's Federal income tax:

Additions to Tax
YearDeficiencySec. 6651Sec. 6653(a)(1)Sec. 6654Sec. 6661
1983$ 8,634$ 1,162.751 $ 431.70$ 261.32$ 2,158.50
19849,8841,296.75 494.20252.182,471.00
198510,6241,392.00 531.20246.642,656.00

We resolved the majority of the issues presented in this case by a prior order in which we partially granted respondent's motion to enter a decision against petitioner pursuant to a proposed decision document submitted by respondent. After the issuance of this order and a concession by respondent, the only issue remaining for decision*75 is whether petitioner is barred pursuant to the time limitations specified within sections 6511 1 and 6512(b)(2) from recovering an overpayment of her 1983 tax. We hold that she is barred from recovering this overpayment.

FINDINGS OF FACT

Form 843, Refund Claim for Taxable Year 1983

On April 16, 1984, petitioner alleges that she filed a Form 843 with the Internal Revenue Service (IRS) requesting a refund of the Federal income tax withheld in taxable year 1983 in the amount of $ 3,983. Petitioner's husband, Attila Rakosi, alleges that he personally prepared, signed, and mailed this purported refund claim to the IRS. Mr. Rakosi acknowledges that respondent never responded to this particular Form 843 and that he never made a further request regarding its status.

Petitioner has submitted to the Court a copy of this purportedly filed Form *76 843. This submitted copy does not contain an IRS stamp or any other evidence indicating that it was received by the IRS. Respondent has no record of having received this particular Form 843.

1983 Tax Return

On April 15, 1987, petitioner alleges that she and her husband filed a joint Federal income tax return for taxable year 1983 in which they requested a refund of a portion of the Federal income tax withheld in 1983. Petitioner claims that her husband prepared, dated, and presented this return to her for her signature. Petitioner believes that Mr. Rakosi then brought the return to a U.S. Post Office to mail to the IRS. Petitioner does not remember accompanying her husband to the Post Office on this particular occasion.

Petitioner has submitted to the Court a copy of this purportedly filed 1983 tax return. The submitted copy does not contain an IRS stamp or any other evidence indicating that it was received by the IRS. Respondent has no record of having received this particular tax return.

By the time petitioner purportedly filed this tax return, petitioner's husband had adopted a standard procedure in which he sent a duplicate copy of all tax returns to himself at*77 the time he sent such to the IRS. Mr. Rakosi believed that this procedure established that a return existed as of the postmarked date affixed on the envelope. Prior to adopting this procedure, the IRS had not lost any returns, claims, or other documents filed by petitioner and/or her husband. Mr. Rakosi alleges that he followed this procedure when he filed the above-referenced 1983 tax return on April 15, 1987. Petitioner did not submit to this Court a postmarked, self-addressed envelope containing this purportedly filed tax return.

Form 843, Refund Claims for Other Taxable Years

For taxable years 1978 through 1982 and taxable years 1984 through 1987, petitioner alleges that she and/or her husband submitted Forms 843 to the IRS seeking a refund of the Federal taxes paid for those years. Petitioner has submitted copies of Form 843 for each of these years. Other than the form submitted for 1986, each Form 843 contained an IRS stamp or an official IRS signature indicating that it was received by respondent.

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Rakosi v. Commissioner, 1993 T.C. Memo. 68, 65 T.C.M. 1977, 1993 Tax Ct. Memo LEXIS 74 (tax 1993).

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