Tucker v. Comm'r

2011 T.C. Memo. 67, 101 T.C.M. 1307, 2011 Tax Ct. Memo LEXIS 65
United States Tax Court·Decided March 22, 2011·No. Docket No. 3165-06L.·Unpublished·Cited by 11 cases

Opinion

LARRY E. TUCKER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Tucker v. Comm'r
Docket No. 3165-06L.
United States Tax Court
T.C. Memo 2011-67; 2011 Tax Ct. Memo LEXIS 65; 101 T.C.M. (CCH) 1307;
March 22, 2011, Filed
Tucker v. Comm'r, 135 T.C. 114, 2010 U.S. Tax Ct. LEXIS 22 (2010)
*65

P filed income tax returns for 2000, 2001, and 2002 that reported tax due; but he did not pay the tax. In early 2003, when P's tax liabilities totaled at least $14,945, P used $44,700 for day trading and lost $22,645. The Internal Revenue Service assessed the tax and issued to P a notice of the filing of a "Notice of Federal Tax Lien" (NFTL). After an initial hearing and an adverse determination, P filed a timely appeal of that determination with the Tax Court pursuant to I.R.C. sec. 6330(d)(1), *66contending that the Office of Appeals improperly rejected an offer-in-compromise (OIC) that P proposed. This Court ordered a remand to the Office of Appeals for further consideration of P's OIC. At a supplemental collection due process hearing, the Office of Appeals preferred a partial payment installment agreement but P proposed only his OIC. In calculating P's reasonable collection potential for purposes of evaluating his OIC, the Office of Appeals considered P's day trading to constitute asset dissipation. The Office of Appeals issued a supplemental notice of determination denying P's proposed OIC and upholding the filing of the NFTL. The parties have filed cross-motions for summary judgment.

Held: Where P engaged in day trading in disregard of his outstanding Federal income taxes, the resulting losses constitute dissipation of assets. R's Office of Appeals did not abuse its discretion in denying P's proposed OIC and upholding the filing of the NFTL.

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Tucker v. Comm'r, 2011 T.C. Memo. 67, 101 T.C.M. 1307, 2011 Tax Ct. Memo LEXIS 65 (tax 2011).

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