Shafmaster v. Comm'r

2008 T.C. Memo. 190, 96 T.C.M. 82, 2008 Tax Ct. Memo LEXIS 186
CourtUnited States Tax Court
DecidedAugust 11, 2008
DocketNo. 7955-06L
StatusUnpublished

This text of 2008 T.C. Memo. 190 (Shafmaster v. Comm'r) 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
Shafmaster v. Comm'r, 2008 T.C. Memo. 190, 96 T.C.M. 82, 2008 Tax Ct. Memo LEXIS 186 (tax 2008).

Opinion

JONATHAN SHAFMASTER AND CAROL SHAFMASTER, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Shafmaster v. Comm'r
No. 7955-06L
United States Tax Court
T.C. Memo 2008-190; 2008 Tax Ct. Memo LEXIS 186; 96 T.C.M. (CCH) 82;
August 11, 2008, Filed
*186
James E. Higgins, for petitioners.
Carina J. Campobasso, for respondent.
Gale, Joseph H.

JOSEPH H. GALE

MEMORANDUM OPINION

GALE, Judge: This case is before the Court on respondent's motion to dismiss for lack of jurisdiction. In his motion respondent contends that no notice of determination sufficient to confer jurisdiction on the Court pursuant to sections 63201 and/or 6330 was issued to petitioners. Petitioners filed a response, a hearing was held, and the parties filed supplemental briefs in support of their positions.

Background

At the time the petition was filed petitioner Jonathan Shafmaster (Mr. Shafmaster) resided in New Hampshire, and petitioner Carol Shafmaster (Mrs. Shafmaster) resided in Maine.

This case arises out of respondent's efforts to collect unpaid income taxes for petitioners' 1993 and 1994 taxable years. On October 4, 2002, respondent filed notices of Federal tax lien with respect to the outstanding 1993 and 1994 tax liabilities of $ 3,989,921, and on or about October 7, 2002, respondent *187 issued petitioners notices of Federal tax lien filing. Petitioners filed a timely request for an Appeals Office hearing in response thereto on November 7, 2002. Petitioners, through their representative, held extensive discussions with a settlement officer in respondent's Appeals Office over the next 21 months. In early August 2004 petitioners and respondent reached an agreement for respondent to file revised notices of lien to reflect reduced tax liabilities and to enter into an installment agreement, which required Mr. Shafmaster to pay the balance of the 1993 and 1994 liabilities over approximately 3 years. In connection therewith, on August 4, 2004, petitioners' representative faxed to the settlement officer a Form 433-D, Installment Agreement, signed by Mr. Shafmaster; a Summary Notice of Determination, Waiver of Right to Judicial Review of a Collection Due Process Determination, and Waiver of Suspension of Levy Action (2004 summary notice of determination), signed by Mr. Shafmaster; and a cover letter. The cover letter referred to the Form 433-D and the 2004 summary notice of determination as follows:

The original documents are being sent to you for you to * * * facilitate the *188 execution of the Installment Agreement * * *. It is not Mr. Shafmaster's intention to waive his right to judicial review or to be bound by the Installment Agreement until he has had the opportunity to review the finalized documents and ensure that no changes have been made to their terms.

The record does not contain a copy of the 2004 summary notice of determination or of the Form 433-D that is countersigned by an Internal Revenue Service (IRS) representative. However, the Forms 4340, Certificate of Assessments, Payments, and Other Specified Matters, for petitioners' 1993 and 1994 taxable years contain "LEGAL SUIT NO LONGER PENDING" entries dated August 30, 2004. The copy of the 2004 summary notice of determination signed by Mr. Shafmaster states: "I waive my right under sections 6320 and 6330 to seek judicial review within 30 days of an Appeals Notice of Determination."

The Form 433-D faxed to respondent stated that Mr. Shafmaster would make an initial payment of $ 150,000 to respondent on September 10, 2004, and monthly payments of $ 32,183 thereafter until the liabilities were paid in full. The Form 433-D further stated that Mr. Shafmaster would make payments of $ 250,000 on October *189 1, 2005, and April 1, 2006, followed by payments of $ 500,000 on October 1, 2006, and October 1, 2007.

Respondent received an initial payment of $ 150,000 from Mr. Shafmaster on September 13, 2004, and received monthly payments of $ 32,183 from Mr. Shafmaster starting in October 2004. Respondent also received a $ 250,000 payment from Mr. Shafmaster on October 3, 2005, and a $ 736,552 payment from Mr. Shafmaster on November 7, 2005. All of the foregoing payments were credited against petitioners' outstanding liabilities for 1993 and 1994.

On February 15, 2006, respondent sent petitioners a notice of additional Federal tax lien filing with respect to their income tax liabilities for 1993 and 1994 (2006 additional NFTL), which reduced the unpaid balance due for each year. On March 17, 2006, petitioners submitted a request for a hearing in response thereto. On March 30, 2006, the settlement officer who had held discussions with petitioners in connection with their November 7, 2002, hearing request sent petitioners a letter (hearing rejection letter) advising that a hearing had previously been conducted with respect to 1993 and 1994 and that he was forwarding the current request to the local *190 IRS compliance office for further disposition. Thereafter, petitioners filed a petition with the Court seeking review under

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Bluebook (online)
2008 T.C. Memo. 190, 96 T.C.M. 82, 2008 Tax Ct. Memo LEXIS 186, Counsel Stack Legal Research, https://law.counselstack.com/opinion/shafmaster-v-commr-tax-2008.