Roberts v. Commissioner

1998 T.C. Memo. 301, 76 T.C.M. 298, 1998 Tax Ct. Memo LEXIS 317
Procedural entryThis page is a short order in Roberts v. Commissioner. Read the opinion of the Court — 75 T.C.M. 2273
United States Tax Court·Decided August 19, 1998·No. Tax Ct. Dkt. No. 22985-97·Unpublished

Opinion

ROBERT AND DIANA ROBERTS, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Roberts v. Commissioner
Tax Ct. Dkt. No. 22985-97
United States Tax Court
T.C. Memo 1998-301; 1998 Tax Ct. Memo LEXIS 317; 76 T.C.M. (CCH) 298;
August 19, 1998, Filed

*317 An appropriate order of dismissal will be entered.

T. Ian Russell, for respondent.
*318 Edward A. Rose, Jr., for petitioners.
DAWSON, JUDGE.

DAWSON

MEMORANDUM OPINION

DAWSON, JUDGE: This case was assigned to Chief Special Trial Judge Peter J. Panuthos, pursuant to the provisions of section 7443A(b)(4) and Rules 180, 181, and 183. 1 The Court agrees with and adopts the opinion of the Special Trial Judge, which is set forth below.

OPINION OF THE SPECIAL TRIAL JUDGE

PANUTHOS, CHIEF SPECIAL TRIAL JUDGE: This matter is before the Court on respondent's motion to dismiss for lack of jurisdiction. The issue for decision is whether petitioners are entitled to the 150-day period for filing a petition with this Court as provided in section 6213(a).

BACKGROUND

The material facts in this case are not in dispute. On July 31, 1997, respondent mailed a notice of deficiency to petitioners regarding their 1991, 1992, and 1993 Federal income tax returns. Duplicate notices of deficiency were mailed to petitioners' home address at 14615 Wood Road, Riverside, California, and petitioner Robert Roberts' (hereinafter petitioner) *319 business address at 18856 Van Buren Boulevard, Riverside, California. 2 Petitioner received one of the duplicate notices of deficiency at his business on August 2, 1997. The record does not reflect whether the notice of deficiency mailed to petitioners' residence was received by them, nor is there any indication that said notice was returned to respondent undelivered.

Respondent determined the following deficiencies, additions to tax, and penalties for each year:

Additions to TaxPenalties
YearDeficiencySec. 6651(a)(1)Sec. 6662(a)
1991$ 32,847$ 8,011$ 6,409
19927,9781,8811,545
19935,6121,4031,122
The notice of deficiency states in pertinent part:

If you want to contest this determination in court before making any payment, you have 90 days from the date of this letter (150 days if addressed outside the United States) to file a petition with the United States Tax Court for a redetermination of the deficiency. You can get a copy of the rules for filing a petition and a petition form you can use by*320 writing to the address below.

United States Tax Court

400 Second Street, NW

Washington, DC 20217

Upon receipt of the notice of deficiency at his office on August 2, 1997, petitioner opened and read the notice. He then called his accountant and advised the accountant of its receipt. Pursuant to that communication, the accountant picked up the notice from petitioner's business office soon thereafter. On August 3, 1997, petitioner left the United States for Akumal, Mexico. He returned to the United States on November 4, 1997.

While petitioner was in Mexico, his accountant prepared the petition. Petitioner periodically talked with his wife and persons in his office while he was away; however, he did not have any conversations relating to the notice of deficiency or the need to file a petition. Soon after his return to the United States on November 4, 1997, petitioner looked through his accumulated mail and found the petition prepared by his accountant. Petitioner contacted his accountant for instructions on how to execute the petition. Petitioner had a discussion with the accountant about the above- quoted language in-the notice of deficiency. The accountant instructed petitioner to sign, *321 date, and mail the petition. Petitioner signed the petition and placed a date of August 30, 1997, next to his signature. Petitioner Diana Roberts also signed the petition, placing the date of August 30 next to her signature. Petitioners placed their home address on the petition.

The 90-day period prescribed in section 6213(a) for filing a timely petition expired on Wednesday, October 29, 1997, a day that was not a legal holiday in the District of Columbia. The envelope in which the petition was contained reflects a private postmeter postmark of November 21, 1997. 3

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Roberts v. Commissioner, 1998 T.C. Memo. 301, 76 T.C.M. 298, 1998 Tax Ct. Memo LEXIS 317 (tax 1998).

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