Whitaker v. Comm'r

2017 T.C. Memo. 192, 114 T.C.M. 377, 2017 Tax Ct. Memo LEXIS 191
CourtUnited States Tax Court
DecidedSeptember 27, 2017
DocketDocket No. 11288-16L
StatusUnpublished
Cited by5 cases

This text of 2017 T.C. Memo. 192 (Whitaker 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
Whitaker v. Comm'r, 2017 T.C. Memo. 192, 114 T.C.M. 377, 2017 Tax Ct. Memo LEXIS 191 (tax 2017).

Opinion

VINCENT B. WHITAKER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Whitaker v. Comm'r
Docket No. 11288-16L
United States Tax Court
T.C. Memo 2017-192; 2017 Tax Ct. Memo LEXIS 191;
September 27, 2017, Filed

An appropriate decision will be entered.

*191 Vincent B. Whitaker, Pro se.
Doreen Marie Susi, Trisha S. Farrow, and Rachael J. Zapeda, for respondent.
LAUBER, Judge.

LAUBER
MEMORANDUM FINDINGS OF FACT AND OPINION

LAUBER, Judge: In this collection due process (CDP) case petitioner seeks review pursuant to section 6330(d)(1)1 of the determination by the Internal Revenue *193 Service (IRS or respondent) to uphold a notice of intent to levy. Petitioner challenges his liability for three frivolous return penalties that the IRS assessed under section 6702(a). Respondent has conceded that one of these penalties was assessed in error. We sustain the proposed collection action with respect to the other two.

FINDINGS OF FACT

The parties submitted before trial a stipulation of facts with attached exhibits that is incorporated by this reference. Petitioner resided in Arizona when he petitioned this Court.

Petitioner was married to Mary Anne Valentine-Whitaker during 2012 and until her death in July 2015. During 2012 State Street Retiree Services (State Street), as manager of Ms. Valentine-Whitaker's retirement plan, distributed $15,469 to her. State Street reported this distribution to her and to the IRS on Form 1099-R, Distributions from Pensions, Annuities, Retirement or Profit-Sharing*192 Plans, IRAs, Insurance Contracts, etc. This form reported a "[g]ross distribution" of $15,469 and a "[t]axable amount" of $15,469. It reported the distribution *194 in box 7 as a "normal distribution" and reported that Federal income tax of $3,094 had been withheld.

In early 2014 Ms. Valentine-Whitaker wrote letters to the IRS demanding that the $3,094 be refunded to her. She based this demand on the assertion that private sector retirement income is not subject to Federal income tax. The IRS replied that, if she had received a distribution from which tax was withheld, she had to file a return to claim a refund. to be a joint Federal income tax return for 2012 (June purported return) on

On June 13, 2014, petitioner and Ms. Valentine-Whitaker filed what purported Form 1040, U.S. Individual Income Tax Return. The June purported return showed zero on line 16a (as pension distributions), zero on line 16b (as the taxable amount of pension distributions), zero on line 37 (as adjusted gross income), and zero on line 43 (as taxable income). It showed $3,094 on line 62 as Federal income tax withheld and requested a refund of $3,094. This Form 1040 bore original signatures of Ms. Valentine-Whitaker*193 and petitioner.

Petitioner and Ms. Valentine-Whitaker attached to the June purported return the Form 1099-R she had received from State Street, on which they wrote "Refuted Form 1099-R." They also attached what purported to be a "corrected" Form 1099-R from State Street. This document was not supplied by State Street but was *195 created by them. It showed a "gross distribution" of zero, a "taxable amount" of zero, and "Federal income tax withheld" of zero. The fictitious nature of this document was plain on its face: While showing a "gross distribution" of zero, it reported in box 7 that it was a "normal distribution."

Enclosed with the June purported return was an "affidavit" of Ms. Valentine-Whitaker which was "made part of [the] corrected 1099-R." In this document she asserted that she had never been a Federal "employee" as defined in section 3401(c) or received wages from an "employer" as defined in section 3401(d). She further asserted that she was not a resident or citizen "of the federal District of Columbia or any federal state, enclave or territory." Rather, she asserted that she was "a resident of Arizona, one of the NON-federal States."

Petitioner and Ms. Valentine-Whitaker also included with the June purported*194 return a letter to the IRS dated June 10, 2014, signed by her. This letter asserted that State Street "was not required to report my private-sector retirement payment on Form 1099-R but did anyway * * * and illegally withheld $3,094.00 in Federal Income Tax." The letter included several paragraphs of legalese, evidently downloaded from a tax-protester website, that purported to justify their position.

On July 29, 2014, the IRS Service Center in Holtsville, New York, wrote Ms. Valentine-Whitaker that "we have no record of receiving your * * * [2012] *196 tax return." That statement was incorrect; the June purported return was stamped "received" by the Holtsville Service Center on June 13, 2014. The July 29 letter instructed Ms. Valentine-Whitaker as follows: "If you have filed, please send us a newly signed copy of your return. If you are married and filed a joint return, both husband and wife must sign."

On August 4, 2014, petitioner and Ms. Valentine-Whitaker submitted to the Holtsville Service Center, as they had been asked to do, a copy of the June purported return.

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Cite This Page — Counsel Stack

Bluebook (online)
2017 T.C. Memo. 192, 114 T.C.M. 377, 2017 Tax Ct. Memo LEXIS 191, Counsel Stack Legal Research, https://law.counselstack.com/opinion/whitaker-v-commr-tax-2017.