Schaeffer v. Commissioner

1997 T.C. Memo. 263, 73 T.C.M. 3003, 1997 Tax Ct. Memo LEXIS 316
CourtUnited States Tax Court
DecidedJune 12, 1997
DocketDocket No. 8909-95
StatusUnpublished

This text of 1997 T.C. Memo. 263 (Schaeffer v. Commissioner) 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
Schaeffer v. Commissioner, 1997 T.C. Memo. 263, 73 T.C.M. 3003, 1997 Tax Ct. Memo LEXIS 316 (tax 1997).

Opinion

PETER M. SCHAEFFER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Schaeffer v. Commissioner
Docket No. 8909-95
United States Tax Court
T.C. Memo 1997-263; 1997 Tax Ct. Memo LEXIS 316; 73 T.C.M. (CCH) 3003;
June 12, 1997, Filed

*316 An order will be issued denying petitioner's Motion for Leave to File a Motion to Vacate or Revise the Decision.

Peter M. Schaeffer, pro se
Lisa Primavera, for respondent.
DAWSON, NAMEROFF

NAMEROFF

MEMORANDUM OPINION

DAWSON, Judge: This case was assigned to Special Trial Judge Larry L. Nameroff pursuant to section 7443A(b) 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.

*317

OPINION OF THE SPECIAL TRIAL JUDGE

NAMEROFF, Special Trial Judge: This case is before us on petitioner's motion filed December 16, 1996, for leave to file a motion to vacate decision out of time (the Motion for Leave).

On March*318 24, 1995, respondent issued a notice of deficiency to petitioner which determined a deficiency and an accuracy-related penalty under section 6662(a) in regard to petitioner's 1991 Federal income tax. Petitioner resided in Palm Springs, California, at the time of filing his petition in this Court. On April 17, 1996, a decision in this case was entered by this Court "pursuant to the agreement of the parties" providing for a deficiency in income tax in the amount of $ 13,776 and a section 6662(a) penalty of $ 2,755. Petitioner was not represented by counsel at that time, 2 negotiated the settlement on his own behalf, and signed the stipulation portion of the Decision document. Petitioner now seeks leave to vacate that decision because he was allegedly not aware that interest would accrue on the deficiency from the due date of his return until the deficiency is paid.

*319 Summary of Facts

The notice of deficiency dated March 24, 1995, inter alia, advised petitioner that if he decided not to file a petition with this Court, he should sign an enclosed waiver form, which would "permit us to assess the deficiency quickly and limit the accumulation of interest." (Emphasis added.) The attached waiver form provided, in part, "I consent to the immediate assessment and collection of the deficiencies (increase in tax and penalties) shown above, plus any interest." (Emphasis added.) The form also provided: "If you consent to the assessment of the deficiencies shown in this waiver, please sign and return this form to limit the interest charge". (Emphasis added.) The form entitled "Income Tax Examination Changes", which lists the adjustments made by respondent, reflects a computation of interest "to 01/04/95" in the amount of $ 3,954. Schedule 5 of the notice of deficiency provides the details of that interest computation. Petitioner did not sign the waiver form. Finally, the Decision document signed by petitioner provides:

It is further stipulated that, effective upon the entry of this decision by the Court, petitioner waives the restriction*320 contained in I.R.C. section 6213(a) prohibiting assessment and collection of the deficiency and additions to tax (plus statutory interest) until the decision of the Tax Court has become final. [Emphasis added.]

Notwithstanding the above, petitioner maintains that he believed his settlement included a settlement of interest and, therefore, the decision entered by the Court was the result of fraud upon the Court. After a hearing on this matter, the parties were ordered to file briefs seriatim, with petitioner filing the initial brief on April 16, 1997, and respondent to file an answering brief 30 days thereafter. Petitioner has not filed his opening brief nor any explanation for such failure. Although we could deny his motion on the ground that he has abandoned his contentions, we will consider his motion on its merits.

Discussion

The date of a decision of this Court is the date an order specifying the amount of the deficiency is "entered" in the records of the Tax Court, which, in this case, was April 17, 1996. A decision of this Court becomes final upon expiration of the time to file a notice of appeal if no notice of appeal is filed. Sec. 7481(a)(1). Generally, *321 a notice of appeal must be filed within 90 days after the decision is entered by this Court. Sec. 7483; Fed. R. App. P. 13(a). A motion to vacate or revise a decision must be filed within 30 days after the decision is entered unless the Court "shall otherwise permit". Rule 162. A motion to vacate a decision, filed more than 30 days after entry of the decision, may be filed only by leave of the Court, usually by the granting of a motion for leave to file an untimely motion to vacate.

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Bluebook (online)
1997 T.C. Memo. 263, 73 T.C.M. 3003, 1997 Tax Ct. Memo LEXIS 316, Counsel Stack Legal Research, https://law.counselstack.com/opinion/schaeffer-v-commissioner-tax-1997.