Smith v. Comm'r

2008 T.C. Memo. 229, 96 T.C.M. 224, 2008 Tax Ct. Memo LEXIS 227
United States Tax Court·Decided October 8, 2008·No. No. 20578-03L·Unpublished·Cited by 21 cases

Opinion

MAXINE SMITH, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Smith v. Comm'r
No. 20578-03L
United States Tax Court
T.C. Memo 2008-229; 2008 Tax Ct. Memo LEXIS 227; 96 T.C.M. (CCH) 224;
October 8, 2008, Filed
*227
Maxine Smith, Pro se.
Linda J. Wise, for respondent.
Wells, Thomas B.

THOMAS B. WELLS

MEMORANDUM OPINION

WELLS, Judge: Respondent issued petitioner a Notice of Determination Concerning Collection Action(s) Under Section 6320 and/or 6330 (notice of determination). In response to the notice of determination, petitioner timely filed a petition pursuant to section 6330(d). 1 The issues to be decided are: (1) Whether petitioner is precluded from contesting her underlying tax liabilities for 1996 and 1997; (2) and, if petitioner is not precluded from contesting the underlying liabilities for 1996 and 1997, whether she is entitled to dependency exemption deductions for two children for taxable years 1996 and 1997, whether petitioner qualifies for head of household filing status for 1996 and 1997, and whether petitioner is entitled to earned income tax credits for 1996 and 1997; and (3) whether respondent may proceed with collection for the 1996 and 1997 taxable years.

Background

Some of the facts and certain exhibits have been *228stipulated. The parties' stipulations of fact are incorporated in this opinion by reference and are found as facts in the instant case.

At the time of filing the petition petitioner resided in Mississippi.

Petitioner filed Forms 1040, U.S. Individual Income Tax Return, for 1996 and 1997. Petitioner timely filed a return for 1998. A different address is listed on each of the 1996, 1997, and 1998 returns.

On her 1996 return, petitioner claimed head of household filing status, dependency exemption deductions for two children, and an earned income tax credit.

On her 1997 return, petitioner claimed head of household filing status, dependency exemption deductions for two children, and an earned income tax credit.

On July 23, 1998, respondent mailed petitioner a letter dated July 22, 1998, proposing adjustments to her 1996 and 1997 returns. The letter, which was sent to the address listed on her 1997 return, was returned to respondent as "Attempted-Not Known."

Respondent mailed a letter, dated August 7, 1998, to the address listed on petitioner's 1997 return informing petitioner that no response was received regarding the July 22, 1998, letter. This letter was also returned to respondent as "Attempted-Not *229Known."

On August 17, 1998, respondent mailed a copy of the July 22 letter to petitioner at the address listed on her 1996 return. This letter was also returned to respondent as "Undeliverable as Addressed-No Forwarding Order on File."

On September 1, 1998, respondent mailed to the address listed on petitioner's 1996 return a letter indicating that respondent did not receive a response to the communications he sent petitioner regarding the proposed adjustments made to petitioner's 1996 and 1997 tax years. Respondent submitted to the Postmaster in Jackson, Mississippi, a Form 4759, Address Information Request, to trace petitioner from her last known address, the address listed on her 1997 return. In response, the form was returned to respondent stating that petitioner had "Moved, Left No Forwarding Address."

On January 8, 1999, respondent sent by certified mail, to the address listed on petitioner's 1997 return, a notice of deficiency for the 1996 and 1997 tax years. This was returned to respondent unclaimed.

Included in the administrative file created by respondent's Appeals Office regarding petitioner's request for a section 6330 hearing (hearing) is an IMFOLT transcript that shows a *230history of petitioner's address changes. The IMFOLT transcript shows that petitioner's address was changed during February 1999 to the address listed on petitioner's 1998 return. The IMFOLT transcript shows that petitioner's address was changed during the week of December 19, 1999 to an address based on correspondence with petitioner.

On May 19, 1999, respondent mailed petitioner a notice of deficiency for the 1996 and 1997 tax years. The notice, which was sent to the address listed on petitioner's 1998 return, was returned to respondent by the post office on June 4, 1999. The post office indicated on the envelope that it attempted delivery on May 24 and May 28, 1999.

The timeframe during which petitioner resided at the address listed on her 1998 return is unclear. Nevertheless, even after she moved from the address listed on her 1998 return, petitioner's mail continued to be delivered to that address, and petitioner's brother continued to tend to the house and collect petitioner's mail.

On March 22, 2003, respondent issued to petitioner Letter 1058, Final Notice-Notice of Intent to Levy and Your Notice of a Right to a Hearing, for petitioner's unpaid tax liabilities for 1996 and 1997.

On *231April 18, 2003, petitioner mailed to respondent a Form 12153, Request for a Collection Due Process Hearing. On April 20, 2003, respondent received this form. On Form 12153, petitioner indicat

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Smith v. Comm'r, 2008 T.C. Memo. 229, 96 T.C.M. 224, 2008 Tax Ct. Memo LEXIS 227 (tax 2008).

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