Titsworth v. Comm'r

2012 T.C. Memo. 12, 103 T.C.M. 1074, 2012 Tax Ct. Memo LEXIS 12
United States Tax Court·Decided January 11, 2012·No. Docket No. 20452-09L.·Unpublished·Cited by 14 cases

Opinion

DARRELL L. AND VICKY L. TITSWORTH, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Titsworth v. Comm'r
Docket No. 20452-09L.
United States Tax Court
T.C. Memo 2012-12; 2012 Tax Ct. Memo LEXIS 12; 103 T.C.M. (CCH) 1074;
January 11, 2012, Filed
*12

Decision will be entered for respondent.

Darrell L. Titsworth and Vicky L. Titsworth, Pro se.
Britton G. Wilson, for respondent.
LARO, Judge.

LARO
MEMORANDUM OPINION

LARO, Judge: This collection case was submitted to the Court for decision without trial. See Rule 122. 1 Petitioners Darell L. Titsworth (Mr. Titsworth) and Vicky L. Titsworth (Ms. Titsworth) petitioned the Court to review the determination of respondent's Office of Appeals (Appeals) sustaining a proposed levy upon their property. See sec. 6330(d)(1). Respondent sought the levy to collect from petitioners approximately $33,652 of unpaid Federal income tax liabilities for 2001, 2002, 2005, and 2006 (subject years). 2 We decide whether Appeals abused its discretion in rejecting petitioners' $500 offer to compromise $33,652 of Federal income tax liabilities. We hold it did not.

Background

The facts in this background *13section are obtained from the parties' stipulation of facts and the accompanying exhibits. We incorporate the stipulated facts and the exhibits herein by this reference, and we find the stipulated facts accordingly.

I. Petitioners

Petitioners are husband and wife who resided in Arkansas when their petition was filed. They have at least one son, N.T. At all relevant times, Mr. Titsworth operated a real estate rental and appraisal business as a sole proprietor. He also served as a member of the board of directors of the Cisero Place Hunting Club (Cisero). Petitioners are good friends with Robert Lawry (Mr. Lawry) and Patricia Lawry (collectively, Lawrys). Since 1984, petitioners have relied upon the Lawrys for real estate financing, principally in the form of purchase money mortgages (Lawry mortgages).

II. Nonpayment of Taxes and Final Levy Notices

Petitioners filed Federal income tax returns late for the subject years but did not pay the reported tax liabilities. On July 28, 2008, respondent issued to each petitioner a separate Final Notice of Intent to Levy and Notice of Your Right to a Hearing (final levy notices). The final levy notices advised petitioners that respondent intended to *14levy upon their property to collect $33,652 of Federal income tax liabilities for the subject years. The final levy notices also informed petitioners that they could appeal the proposed levy by requesting a collection due process (CDP) hearing with Appeals. On August 20, 2008, in response to the final levy notices, petitioners' representative submitted Form 12153, Request for a Collection Due Process or Equivalent Hearing, indicating their intention to submit an offer-in-compromise as a collection alternative to the proposed levy.

III. Offer-in-Compromise Submission

On August 27, 2008, petitioners submitted a Form 656, Offer in Compromise, based on doubt as to collectibility and offered to pay $500 in a lump sum to compromise their unpaid Federal income tax liabilities for the subject years and 2003, 2004, and 2007. In support of their offer, petitioners provided a Form 433-A,

Collection Information Statement for Wage Earners and Self-Employed Individuals, a Form 433-B, Collection Information Statement for Businesses, for Cisero, and supporting documents.

The Form 433-A reported personal assets including, among other things, cash of $1,700, two personal bank accounts totaling $6,746, four *15automobiles, three "4 wheeler" vehicles (ATVs), one camper, one tractor, and the following real property:

DescriptionReported Fair Market ValueReported First MortgageReported Second Mortgage1Reported Equity
1162 Hwy 71S$181,550$161,221$56,477($36,148)
116 Polk 70380,00079,521-0-479
141 Carter Creek23,050-0--0-23,050
561 Hwy 37539,15015,07143,567(19,488)
3245 Hwy 71N68,85065,099-0-3,751
Hwy 71 back l

Free access — add to your briefcase to read the full text and ask questions with AI

Titsworth v. Comm'r, 2012 T.C. Memo. 12, 103 T.C.M. 1074, 2012 Tax Ct. Memo LEXIS 12 (tax 2012).

2012 T.C. Memo. 12 (Titsworth v. Comm'r) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

David Andrew Lufkin, Sr.
U.S. Tax Court, 2021
Norman Hinerfeld v. Commissioner
2019 T.C. Memo. 47 (U.S. Tax Court, 2019)
Daryl Ragsdale v. Commissioner
2019 T.C. Memo. 33 (U.S. Tax Court, 2019)
Heber E. Costello, LLC v. Comm'r
2016 T.C. Memo. 184 (U.S. Tax Court, 2016)
Au v. Comm'r
2015 T.C. Memo. 183 (U.S. Tax Court, 2015)
Obiakor v. Comm'r
2015 T.C. Memo. 112 (U.S. Tax Court, 2015)
Gurule v. Comm'r
2015 T.C. Memo. 61 (U.S. Tax Court, 2015)
Rosenthal v. Comm'r
2014 T.C. Memo. 252 (U.S. Tax Court, 2014)
J & S Auto Painting, Inc. v. Comm'r
2013 T.C. Memo. 232 (U.S. Tax Court, 2013)
Link v. Comm'r
2013 T.C. Memo. 53 (U.S. Tax Court, 2013)
Klika v. Comm'r
2012 T.C. Memo. 225 (U.S. Tax Court, 2012)
Miss Laras Dominion, Inc. v. Comm'r
2012 T.C. Memo. 203 (U.S. Tax Court, 2012)