Whistleblower 22231-12W v. Comm'r

2014 T.C. Memo. 157, 108 T.C.M. 124, 2014 Tax Ct. Memo LEXIS 154
CourtUnited States Tax Court
DecidedAugust 4, 2014
DocketDocket No. 22231-12W
StatusUnpublished
Cited by7 cases

This text of 2014 T.C. Memo. 157 (Whistleblower 22231-12W v. Comm'r) 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
Whistleblower 22231-12W v. Comm'r, 2014 T.C. Memo. 157, 108 T.C.M. 124, 2014 Tax Ct. Memo LEXIS 154 (tax 2014).

Opinion

WHISTLEBLOWER 22231-12W, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Whistleblower 22231-12W v. Comm'r
Docket No. 22231-12W
United States Tax Court
T.C. Memo 2014-157; 2014 Tax Ct. Memo LEXIS 154; 108 T.C.M. (CCH) 124;
August 4, 2014, Filed

An order of dismissal for lack of jurisdiction will be entered.

*154 Robert F. Katzberg, for petitioner.
Charles J. Butler, for respondent.
LAUBER, Judge.

LAUBER
MEMORANDUM FINDINGS OF FACT AND OPINION

LAUBER, Judge: This whistleblower award case is before the Court on a motion by the Internal Revenue Service (IRS or respondent) to dismiss for lack of jurisdiction. Petitioner received several emails from the IRS Whistleblower Office (Office) that petitioner asserts constitute a determination regarding one of his *158 claims.1 The issue we must decide is whether the IRS made a "determination regarding an award" within the meaning of section 7623(b)(4) sufficient to confer jurisdiction on this Court.2*155

FINDINGS OF FACT

These findings of fact are based on the parties' pleadings, a stipulation of facts with accompanying exhibits, and an evidentiary hearing. At the hearing the Court received testimony from Stephen Whitlock, Director of the Office. He testified about the Office's procedures for processing claims generally and about its handling of the particular claim at issue here. We found his testimony instructive and credible in all respects.

Petitioner filed Form 211, Application for Award for Original Information, with the Office in November 2010. On the application petitioner asserted that he was cooperating with the Department of Justice and the IRS Criminal Investigation *159 Division in connection with the ongoing investigation of two Swiss bankers. Petitioner alleged that his cooperation with those agencies had led to, and would lead to more, information about these bankers' involvement in tax evasion by U.S. persons having undeclared offshore financial accounts.

On December 1, 2010, the Office notified petitioner that it had received the Form 211 and assigned unique claim numbers to his claims regarding the two Swiss bankers.*156 3 The Office advised petitioner that if it initiated an investigation as a result of the information, final resolution of his claims could take several years. No award could be paid until the IRS had collected any taxes or other amounts assessed by virtue of the information petitioner had supplied.

Subsequent communications (letters, emails, and phone calls) ensued between Cindy Stuart, the Office analyst assigned to petitioner's claims, and petitioner's counsel. Petitioner's counsel tried to convince Ms. Stuart and the Office that petitioner's cooperation was the linchpin in the prosecution of the two Swiss bankers, which allegedly led to the Government's receiving incriminating information about numerous U.S. taxpayers.

*160 On August 23, 2011, petitioner filed with the Office a third claim for an award, which is the subject of the present controversy. Petitioner filed this claim after learning that Taxpayer 1 had agreed to pay a substantial penalty in conjunction with a guilty plea for filing a false*157 tax return. Taxpayer 1 admitted that one of the Swiss bankers had helped him open Swiss bank accounts to conceal his income and assets from U.S. authorities. By the guilty plea, Taxpayer 1 agreed to pay a multimillion-dollar civil penalty for failing to file Form TD F 90-22.1, Report of Foreign Bank and Financial Accounts (FBAR). See31 U.S.C. sec. 5321(a) (2006). Taxpayer 1 also agreed to pay the IRS a relatively small amount of restitution, reflecting unpaid Federal income tax due on income earned from the Swiss bank accounts. Petitioner claimed entitlement to an award based upon the aggregate amount paid by Taxpayer 1, given petitioner's alleged involvement in the Swiss banker's arrest, which led to Taxpayer 1's arrest. On January 11, 2012, the Office assigned this claim a unique claim number ending in 67 (Taxpayer 1 claim).

On January 26, 2012, petitioner's counsel sent Ms. Stuart a detailed memorandum outlining petitioner's asserted connection with Taxpayer 1 and urging that an award for the Taxpayer 1 claim be finalized without delay. On January 31 Ms. Stuart mailed petitioner's counsel a letter confirming receipt of the January 26 *161 letter. She informed him that "[t]he claim for award under Section 7623 is still open and*158 under active consideration" and that "a number of actions * * * must be completed before a determination is made."

Petitioner's counsel sent Ms. Stuart a number of follow-up letters between February and June 2012. In her replies Ms. Stuart stated that the Office had not yet received the information necessary to make a determination; that the Taxpayer 1 claim was not yet ready for decision; and that section 6103 prevented her from discussing certain matters with petitioner's counsel. In an email dated August 8, 2012, Ms.

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Cite This Page — Counsel Stack

Bluebook (online)
2014 T.C. Memo. 157, 108 T.C.M. 124, 2014 Tax Ct. Memo LEXIS 154, Counsel Stack Legal Research, https://law.counselstack.com/opinion/whistleblower-22231-12w-v-commr-tax-2014.