Stephen C. Loadholt Trust v. Commissioner

2000 T.C. Memo. 349, 80 T.C.M. 675, 2000 Tax Ct. Memo LEXIS 419
CourtUnited States Tax Court
DecidedNovember 13, 2000
DocketNo. 18158-99L; No. 18159-99L; No. 18521-99L
StatusUnpublished

This text of 2000 T.C. Memo. 349 (Stephen C. Loadholt Trust 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
Stephen C. Loadholt Trust v. Commissioner, 2000 T.C. Memo. 349, 80 T.C.M. 675, 2000 Tax Ct. Memo LEXIS 419 (tax 2000).

Opinion

STEPHEN C. LOADHOLT TRUST, DEBRA M. LANCE TRUSTEE, ET AL., Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Stephen C. Loadholt Trust v. Commissioner
No. 18158-99L; No. 18159-99L; No. 18521-99L
United States Tax Court
T.C. Memo 2000-349; 2000 Tax Ct. Memo LEXIS 419; 80 T.C.M. (CCH) 675; T.C.M. (RIA) 54119;
November 13, 2000, Filed

*419 Appropriate orders of dismissal will be entered.

On their 1997 income tax returns, Ps reported zero tax

   liability and claimed refunds resulting from claimed income tax

   withholding credits. R paid Ps the claimed refunds but later

   determined that the payments of refunds were in error, as Ps had

   made no income tax payments for which the withholding credits

   were claimed. After R made summary assessments of the erroneous

   refunds, Ps requested due process hearings. After R issued

   negative determination letters, Ps filed petitions for judicial

   review of R's administrative determinations. R filed motions to

   dismiss for lack of jurisdiction. Held, because the Court lacks

   jurisdiction over the underlying tax liabilities that R is

   attempting to collect, the Court lacks jurisdiction to review

   the administrative determinations in dispute.

Debra M. Lance (trustee), for petitioner in docket No. 18521-
99L.
J. Craig Young, for respondent.
Thornton, Michael B.

THORNTON

MEMORANDUM OPINION

THORNTON, JUDGE: These cases are before the Court on respondent's motions to dismiss for lack*420 of jurisdiction. 2 As discussed below, we shall grant respondent's motions.

Unless otherwise indicated, section references are to the Internal Revenue Code as amended.

BACKGROUND

In these consolidated cases, trustees (the trustees) of three purported trusts (the trusts) petitioned this Court for redeterminations under section 6330(d). On their Forms 1041, U.S. Income Tax Return for Estates and Trusts, for taxable year 1997, each of the trusts reported income tax liability of zero and certain amounts of income tax withholding credits, thereby resulting in refund claims by each trust. Respondent paid the claimed refunds. 3 Subsequently, respondent determined that the refunds had been erroneously paid because the trusts had not made the income tax payments for which credits had been claimed. Respondent summarily assessed the previously refunded amounts and mailed*421 notices of tax due with respect thereto. 4 Respondent subsequently filed notices of Federal tax liens in connection with the assessments.

The trustees timely filed with the Internal Revenue Service requests for collection due process hearings with regard to the filings of the notices of Federal tax liens. By notices of determination, respondent's Appeals officer 5 informed the trustees that his office had reviewed the proposed collection actions and had determined that they complied with the applicable administrative procedures and legal requirements. Respondent's*422 notices of determination stated that if the trustees wanted to dispute the determinations in court, they should file a petition with the Tax Court. The notices of determination further stated: "If the court determines that you made your petition to the wrong court, you will have 30 days after such determination to file with the correct court."

The trustees timely filed petitions for redetermination with this Court. Before these cases were consolidated, the trustees filed identical motions to dismiss for lack of jurisdiction on the ground that, because respondent failed to follow certain administrative procedures (including conducting an audit with the trustees' participation, providing the trustees meetings with the revenue agent and a supervisor, and issuing 30-day letters and notices of deficiency), jurisdiction was never conferred upon the Court. Respondent filed objections to the trustees' motions in each case. 6 The Court denied the trustees' motions*423 to dismiss on the ground asserted by the trustees.

Subsequently, respondent filed motions to dismiss for lack of jurisdiction, arguing for the first time that the Tax Court lacks jurisdiction because the tax liabilities in issue were summarily assessed under the authority of section 6201(a)(3) and "arose from a nonrebate erroneous refund which could not have been assessed as a deficiency, or otherwise been subject to the jurisdiction of this Court under an alternative to assessment under section 6201(a)(3)."

On October 2, 2000, a hearing on respondent's motions was held at the Court's trial session in Columbia, South Carolina.

DISCUSSION

The trustees seek judicial review of administrative actions instituted by respondent*424 to recover what respondent alleges were erroneous refunds paid to the trusts. As described below, the administrative collection procedures instituted by respondent are distinct from the deficiency procedures upon which this Court's jurisdiction is generally predicated.

Section 6201

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Cite This Page — Counsel Stack

Bluebook (online)
2000 T.C. Memo. 349, 80 T.C.M. 675, 2000 Tax Ct. Memo LEXIS 419, Counsel Stack Legal Research, https://law.counselstack.com/opinion/stephen-c-loadholt-trust-v-commissioner-tax-2000.