Sanders v. Commissioner

1998 T.C. Memo. 24, 75 T.C.M. 1609, 1998 Tax Ct. Memo LEXIS 24
United States Tax Court·Decided January 21, 1998·No. Tax Ct. Dkt. No. 128-97·Unpublished

Opinion

NEAL A. SANDERS, D.B.A. LAW OFFICES OF NEAL A. SANDERS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Sanders v. Commissioner
Tax Ct. Dkt. No. 128-97
United States Tax Court
T.C. Memo 1998-24; 1998 Tax Ct. Memo LEXIS 24; 75 T.C.M. (CCH) 1609;
January 21, 1998, Filed
Neal Alan Sanders, pro se.
Peter J. Gavagan, for respondent.
JACOBS, JUDGE.

JACOBS

MEMORANDUM OPINION

JACOBS, JUDGE: This matter is before the Court on the parties' cross-motions to dismiss for lack of jurisdiction. Respondent moves to dismiss this case as to income tax deficiencies for 1992 and 1993 for lack of jurisdiction on the grounds that the amended petition (in which the allegations concerning those income tax deficiencies were first raised) was filed more than 90 days after the notice of deficiency was issued, and to strike all references thereto from the amended petition. Petitioner requests the Court to dismiss respondent's claim for 1992 income tax deficiencies and for section 4975 excise tax deficiencies for years before*26 1993 on the grounds that petitioner did not receive notices of deficiency with respect to the determined deficiencies for these taxes until after the limitations period. 1 In this respect, petitioner avers that the two notices of deficiency (one relating to excise tax deficiencies pursuant to section 4975 for 1992-95 and the other relating to income tax deficiencies for 1992 and 1993) were not mailed to him at his correct address. To resolve these competing procedural disputes, we must determine whether respondent mailed the notices of deficiency to petitioner at petitioner's last known address.

All section references are to the Internal Revenue Code as in effect for the years in issue, and all Rule references are to the Tax Court Rules of Practice and Procedure.

BACKGROUND

Respondent issued three notices of deficiency, each dated October 11, 1996. The first notice determined Federal excise tax deficiencies pursuant to section 4971 and additions to*27 tax pursuant to section 6651 for 1991-95 with respect to asserted accumulated funding deficiencies for the law offices of Neal A. Sanders' money purchase pension and profit sharing plans (the first deficiency notice), as follows:

YearSec. 4971(a)Sec. 4971(b)Addition to Tax
DeficiencyDeficiencySec. 6651(a)
1991$ 772---$ 193
19921,310$ 12,604327
19933,25031,999812
19943,04253,624---
19955,36253,624804

The second notice determined Federal excise tax deficiencies pursuant to section 4975 and additions to tax pursuant to section 6651 for 1992-95 (the second deficiency notice) with respect to an asserted prohibited transaction (the borrowing of money) engaged in by the law offices of Neal A. Sanders with both its money purchase pension and profit sharing plans, as follows:

Addition to Tax
YearSec. 4975(a)Sec. 4975(b)Sec. 6651(a)(1)
1992$87---$ 22
1993294---74
1994518---130
1995775$ 17,087116

The third notice determined Federal income tax deficiencies and accuracy-related penalties pursuant to section 6662 for 1992 and 1993 (the third deficiency notice) with regard to Neal Alan and Linda*28 Sanders, husband and wife, as follows:

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Sanders v. Commissioner, 1998 T.C. Memo. 24, 75 T.C.M. 1609, 1998 Tax Ct. Memo LEXIS 24 (tax 1998).

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