Smith v. Comm'r

2007 T.C. Memo. 117, 93 T.C.M. 1213, 2007 Tax Ct. Memo LEXIS 119
Procedural entryThis page is a short order in Smith v. Comm'r. Read the opinion of the Court — 124 T.C. 36
United States Tax Court·Decided May 9, 2007·No. No. 8644-05 ·Unpublished

Opinion

LYNNE M. SMITH, Petitioner, AND STANLEY J. SMITH, Intervenor v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Smith v. Comm'r
No. 8644-05
United States Tax Court
T.C. Memo 2007-117; 2007 Tax Ct. Memo LEXIS 119; 93 T.C.M. (CCH) 1213;
May 9, 2007, Filed
*119 Stanley J. Smith, pro se.
John R. Mikalchus, for respondent.
Chiechi, Carolyn P.

CAROLYN P. CHIECHI

MEMORANDUM OPINION

CHIECHI, Judge: This case is before the Court on respondent's motion to dismiss for lack of jurisdiction (respondent's motion). Respondent filed respondent's motion after the Court issued Billings v. Comm'r, 127 T.C. 7 (2006), and before Congress enacted the Tax Relief and Health Care Act of 2006 (Act). We shall grant respondent's motion.

BACKGROUND

In support of respondent's motion, respondent relies on Billings v. Comm'r, supra, in which the Court held that it lacks jurisdiction under section 6015(e)1 to review a determination under section 6015(f) where no deficiency has been asserted.

Stanley J. Smith, intervenor in this case, filed a response to respondent's motion in which he indicated that respondent's motion should be granted.

*120 Petitioner filed a response to respondent's motion (petitioner's response) in which she indicated that respondent's motion should be denied. In support of her position, petitioner argued in petitioner's response that "Billings is not wholly dispositive of this proceeding." That is because, according to petitioner, respondent made a wrongful levy with respect to her taxable years 1998 and 2002, and "the Tax Court has jurisdiction to address wrongful levy refund claims and equitable relief under Internal Revenue Code section 6330."

About five months after the Court issued its opinion in Billings v. Comm'r, supra, Congress passed the Act. The Act amended section 6015(e)(1) to provide that the Court may review respondent's denial of relief under that section in any case where an individual requested relief under section 6015(f). Tax Relief and Health Care Act of 2006, Pub. L. 109-432, div. C, sec. 408(a), 120 Stat. 2922, 3061S. That amendment applies "with respect to liability for taxes arising or remaining unpaid on or after the date of the enactment of this Act." Id. sec. 408(c), 120 Stat. 3062. The date of enactment of the Act was December 20, 2006.

*121 On January 10, 2007, the Court issued an Order (January 10, 2007 Order) in which it directed each party to address the Court's jurisdiction in this case in light of the amendment that the Act made to section 6015(e)(1).

Respondent filed a response to the Court's January 10, 2007 Order (respondent's response to the Court's Order) in which respondent stated in pertinent part:

4. The balance of tax due for taxable years 1998 and 2002 was paid on April 27, 2006 pursuant to a levy issued to Anthony Arcodia, Jr., an attorney who was holding in escrow the proceeds of the sale of the former residence of the petitioner and the intervenor.

5. The tax liabilities, including interest and penalties, for which petitioner is seeking relief pursuant to I.R.C. section 6015(f) were both fully paid on April 27, 2006, which date is prior to the enactment of the Act. Thus, the liabilities at issue did not remain unpaid as of the date of enactment. As a result, the amendments to I.R.C. section 6015(e) made by the Act * * * do not apply to the present case. Because the amendments do not apply, I.R.C. section 6015(e) as it existed*122 before the amendments and the law concerning that statute apply to the present case.

6. Before the amendments, I.R.C. section 6015(e)

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Smith v. Comm'r, 2007 T.C. Memo. 117, 93 T.C.M. 1213, 2007 Tax Ct. Memo LEXIS 119 (tax 2007).

2007 T.C. Memo. 117 (Smith v. Comm'r) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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