Vigon v. Comm'r

149 T.C. No. 4, 114 T.C.M. 4141, 2017 U.S. Tax Ct. LEXIS 37
United States Tax Court·Decided July 24, 2017·No. Docket No. 28788-14L.·Published

Opinion

DEAN MATTHEW VIGON, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Vigon v. Comm'r
Docket No. 28788-14L.
United States Tax Court
2017 U.S. Tax Ct. LEXIS 37; 149 T.C. No. 4;
July 24, 2017, Filed

An appropriate order will be issued.

P submitted to R nine Forms 1041, "U.S. Income Tax Return for Estates and Trusts"; and R assessed against P nine $5,000 penalties under I.R.C. sec. 6702 (for "frivolous tax submissions"), which are not subject to deficiency procedures and for which R asserts there is no statute of limitations. R issued to P a notice of Federal tax lien under I.R.C. sec. 6320(a), and P requested a CDP hearing, during which under I.R.C. sec. 6330(c)(2)(B) he challenged his underlying liability for the penalties. The IRS's Office of Appeals issued a determination sustaining the penalty liabilities and the notice of lien, and P filed a Tax Court petition pursuant to I.R.C. sec. 6330(d)(1). Thereafter R abated the penalties, released the lien, and filed a motion to dismiss the petition on grounds of mootness; but R did not concede P's liability for the penalties on the nine Forms 1041, and R reserved the right to reassess later I.R.C. sec. 6702 penalties for the nine Forms 1041.

Held: Despite R's abatement of the penalties and release of the lien, the CDP case is not moot, in light of P's liability challenge under I.R.C. sec. 6330(c)(2)(B) and R's non-concession as to liability and R's reserving the right to reassess the penalties.

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Vigon v. Comm'r, 149 T.C. No. 4, 114 T.C.M. 4141, 2017 U.S. Tax Ct. LEXIS 37 (tax 2017).

149 T.C. No. 4 (Vigon v. Comm'r) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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