Ward v. Commissioner

2016 T.C. Memo. 124, 111 T.C.M. 1597, 2016 Tax Ct. Memo LEXIS 123
CourtUnited States Tax Court
DecidedJune 27, 2016
DocketDocket No. 4807-15L
StatusUnpublished

This text of 2016 T.C. Memo. 124 (Ward 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
Ward v. Commissioner, 2016 T.C. Memo. 124, 111 T.C.M. 1597, 2016 Tax Ct. Memo LEXIS 123 (tax 2016).

Opinion

RICKY L. WARD, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Ward v. Commissioner
Docket No. 4807-15L
United States Tax Court
T.C. Memo 2016-124; 2016 Tax Ct. Memo LEXIS 123; 111 T.C.M. (CCH) 1597;
June 27, 2016, Filed

An appropriate order and decision will be entered.

*123 Ricky L. Ward, Pro se.
Diana N. Wells and Denise A. Diloreto, for respondent.
NEGA, Judge.

NEGA
MEMORANDUM OPINION

NEGA, Judge: Petitioner seeks review pursuant to sections 6320(c) and 6330(d)(1)1 of respondent's determination to sustain the filing of a notice of *125 Federal tax lien with respect to petitioner's unpaid Federal income tax liabilities for tax years 2000-2009.2 Respondent has moved for summary judgment. For the reasons explained below, we will grant the motion.

Background

The following uncontroverted facts are derived from the petition, the exhibits attached to respondent's motion for summary judgment and first amendment to motion for summary judgment, and the parties' other filings in this case. Petitioner resided in Kentucky when he petitioned this Court.

For tax years 2000-2009 petitioner filed untimely income tax returns.*124 The reported tax liabilities were assessed, but petitioner failed to pay all the liabilities reported on the returns. The unpaid tax liabilities stem from insufficient Federal withholding and/or not making the necessary estimated tax payments on petitioner's earned income reported on his tax returns. On June 26, 2014, respondent sent petitioner a Notice of Federal Tax Lien Filing and Your Right to a Hearing Under IRC 6320, with respect to his unpaid Federal income tax liabilities for these years.

*126 In response, petitioner timely submitted Form 12153, Request for a Collection Due Process or Equivalent Hearing. The Form 12153 permitted petitioner to indicate the nature of his CDP hearing request by checking boxes selectively. Petitioner checked boxes for "Offer in Compromise" and "I Cannot Pay Balance" on his Form 12153. Petitioner did not dispute the underlying tax liabilities on Form 12153 and did not request withdrawal of the notice of Federal tax lien or release of the lien.

On November 5, 2014, a settlement officer (SO) from the Internal Revenue Service (IRS) Appeals Office sent petitioner a letter setting December 4, 2014, for a telephone collection due process (CDP) hearing and requested*125 that he complete and submit Form 433-A, Collection Information Statement for Wage Earners and Self-Employed Individuals, with supporting documentation to assist in the hearing process. On December 5, 2014, the SO mailed petitioner a letter rescheduling the CDP hearing for December 19, 2014, because the SO could not attend the originally scheduled conference.

Petitioner provided no documentation and did not make a specific proposal for a collection alternative before the scheduled CDP hearing. On December 19, 2014, the SO called petitioner to initiate the CDP hearing, but he did not answer. The SO left a voice message asking that petitioner contact him to reschedule the *127 hearing. On December 24, 2014, the SO mailed petitioner a "last chance" letter requesting that he submit financial information within 14 days from the date of the letter if he wished the IRS to consider collection alternatives. Petitioner submitted no information and failed to contact the IRS regarding his case. On January 29, 2015, the IRS issued petitioner a notice of determination sustaining the notice of Federal tax lien filing.

Petitioner timely sought review in this Court and vaguely asserted in his amended petition*126 that he did not "owe this much tax on wages earned on all years." On July 2, 2015, respondent moved for summary judgment. On August 3, 2015, petitioner responded to the motion for summary judgment. In his response petitioner stated that he disagreed with the alleged facts set forth by the IRS in his case and that he believed that the IRS "must have" computed his tax liabilities without taking into account deductions. Petitioner went on to say that "the tax rate was excessive for my filing status" and that all of the IRS' correspondence looked "like words on paper" to him.

The Court set respondent's motion for summary judgment for hearing for December 7, 2015. Petitioner failed to appear for the hearing.

*128 Discussion

This case was called from the calendar for the trial session of the Court at Louisville, Kentucky, on December 7, 2015. There was no appearance by or on behalf of petitioner. Counsel for respondent appeared and filed with the Court a motion to dismiss for lack of prosecution. That same day, the Court ordered petitioner to show cause in writing on or before December 28, 2015, why respondent's motion to dismiss for lack of prosecution should not be granted. No response has been

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Bluebook (online)
2016 T.C. Memo. 124, 111 T.C.M. 1597, 2016 Tax Ct. Memo LEXIS 123, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ward-v-commissioner-tax-2016.