Sherer v. Comm'r

2006 T.C. Memo. 29, 91 T.C.M. 759, 2006 Tax Ct. Memo LEXIS 29
United States Tax Court·Decided February 21, 2006·No. No. 15976-04L ·Unpublished·Cited by 1 cases

Opinion

ROGER L. SHERER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Sherer v. Comm'r
No. 15976-04L
United States Tax Court
T.C. Memo 2006-29; 2006 Tax Ct. Memo LEXIS 29; 91 T.C.M. (CCH) 759;
February 21, 2006, Filed

*29 P seeks relief from a tax lien filed for 1999 under sec.

  6330(d), I.R.C. P contests the income tax liability assessed for

   1999. R disputes whether P had an opportunity to contest the

   1999 liability and asserts P refused receipt of the notice of

   deficiency. However, P did not receive the notice of deficiency

   for 1999 which was mailed to two addresses, neither of which was

   P's residence at the time.

   P did not file an income tax return for 1999. In response to the

   Appeals officer in the communications after his request for a

   hearing under sec. 6330, I.R.C., P provided support for his

   claimed bases in securities, the proceeds of the sale of which

   create the 1999 liability. The Appeals officer declined to

   consider P's information until he filed a return for 1999. Since

   P did not file a 1999 return, R issued a notice of

   determination.

   Held: P's 1999 tax liability is properly before this

   Court subject to de novo review, since P did not receive the

   notice of deficiency for 1999 and did not otherwise have*30 an

   opportunity to dispute the liability. Sego v.

   Commissioner, 114 T.C. 604 (2000), distinguished.

   Held further, P's failure to file a return for 1999 does

   not bar consideration of P's evidence of his bases in securities

   sold in 1999. Upon consideration of P's evidence, the Court

   finds that P has no tax liability for 1999 and accordingly, the

   collection action is not upheld.

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Sherer v. Comm'r, 2006 T.C. Memo. 29, 91 T.C.M. 759, 2006 Tax Ct. Memo LEXIS 29 (tax 2006).

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