Woods v. Comm'r

2006 T.C. Memo. 38, 91 T.C.M. 852, 2006 Tax Ct. Memo LEXIS 39
CourtUnited States Tax Court
DecidedMarch 9, 2006
DocketNo. 21419-03L
StatusUnpublished

This text of 2006 T.C. Memo. 38 (Woods 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
Woods v. Comm'r, 2006 T.C. Memo. 38, 91 T.C.M. 852, 2006 Tax Ct. Memo LEXIS 39 (tax 2006).

Opinion

ROBERT WILLIAM WOODS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Woods v. Comm'r
No. 21419-03L
United States Tax Court
T.C. Memo 2006-38; 2006 Tax Ct. Memo LEXIS 39; 91 T.C.M. (CCH) 852;
March 9, 2006, Filed
*39 Robert William Woods, pro se.
Marshall R. Jones, for respondent.
Wells, Thomas B.

THOMAS B. WELLS

MEMORANDUM OPINION

WELLS, Judge: Petitioner seeks review, pursuant to section 6330, 1 of respondent's determination to proceed with the collection of petitioner's tax liabilities for the 1988, 1989, 1990, 1991, 1993, 1995, 1996, and 1997 taxable years. The issue we must decide is whether petitioner's tax liabilities were discharged by an order of the U.S. bankruptcy court. At trial, petitioner raised the bankruptcy issue for the first time and did not address the issues raised in respondent's notice of determination.

Background

Some of the facts and certain exhibits have been stipulated. The parties' stipulations of fact are incorporated in this opinion by reference and are found as facts in the instant case. At the time he filed his petition, petitioner resided in Remlap, Alabama.

Petitioner*40 filed Forms 1040, U.S. Individual Income Tax Return, for the taxable years 1988, 1989, 1990, 1991, 1993, and 1995 but failed to pay the balances reported as due. Petitioner did not file Forms 1040 for the taxable years 1996 and 1997. Instead, petitioner filed IRS Form 4852, Substitute for Form W-2, Wage and Tax Statement, or Form 1099-R, Distributions from Pensions, Annuities, Retirement or Profit-Sharing Plans, IRAs, Insurance Contracts, Etc. Along with Form 4852, petitioner filed an "Asseveration of Claimed Gross Income", (asseveration) in which he claimed, among other things, as follows:

   The Asseveror hereby further states that, despite the claims of

   Long Lewis Ford [his employer] on the copy of the W-2's or

   1099's, attached to this Asseveration, he did not have any gross

   income, as he did not have any items of gross income (26 CFR

  section 1.861-8(a)(3)), from any taxable sources listed by the

   Secretary (26 CFR section 1.861-8(f)(1)), to have then any 'gross

   income', pursuant to the rules promulgated by the Secretary.

          *   *   *   *   *   *   *

*41    Furthermore, since the remuneration paid to the Asseveror by

   Long Lewis Ford on the Copy of the W-2's or 1099's, attached to

   this Asseveration, is not from a taxable source listed in 1.861-

  8(f)(1), nor listed in 1.861-8T(d)(2)(iii), the remuneration

   paid to the Asseveror is excluded from the law, and thus

   excluded from the definition of "gross income". This definition

   of gross income from a source, related to U.S. Citizens,

   directly leads to section 911 of Title 26 USC, which has to do

   with U.S. Citizens living abroad.

Petitioner states in his asseveration that, because he was not living abroad, he did not have "wages", and the remuneration he received from his employer was therefore exempt.

In a letter attached to his asseveration, petitioner further stated as follows:

   As you have probably already noted, the instructions on the 4852

   Form states plainly that it is to be attached to the Form 1040,

   yet these Forms are presented without the 1040. I am concerned

   and almost certain that the IRS will not take these 4852

   documents into consideration should I file the 1040 Form*42 with

   corresponding numbers, which would be zero.

Petitioner concluded the letter stating that, because he did not have any gross income, he could not have any taxable income, and therefore he was not required to file a Form 1040.

Respondent sent petitioner separate notices of deficiency for each taxable year in issue, but petitioner failed to petition this Court. 2 Respondent timely assessed petitioner for the tax, additions to tax, penalties, and interest for the years in issue.

On November 28, 2002, respondent sent petitioner a Letter 1058, Final Notice of Intent to Levy and Notice of Your Right to a Hearing. Petitioner timely filed Form 12153, Request for a Collection Due Process Hearing, on December 19, 2002. Respondent's Appeals Officer Gayla L. Owens conducted petitioner's hearing on November 12, 2003. Petitioner raised only frivolous tax protester type arguments at the hearing, arguing that he did not have gross income*43 as defined by sections 861, 911, and

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2006 T.C. Memo. 38, 91 T.C.M. 852, 2006 Tax Ct. Memo LEXIS 39, Counsel Stack Legal Research, https://law.counselstack.com/opinion/woods-v-commr-tax-2006.