DocketNumber: No. 3730-99
Citation Numbers: 1999 U.S. Tax Ct. LEXIS 35, 113 T.C. No. 8, 113 T.C. 132
Judges: "Dawson, Howard A.","Panuthos, Peter J."
Filed Date: 8/11/1999
Status: Precedential
Modified Date: 10/19/2024
1999 U.S. Tax Ct. LEXIS 35">*35 An order will be entered granting respondent's Motion to Dismiss for Lack of Jurisdiction.
On Aug. 13, 1998, R mailed a final determination
letter to Ps denying their request for abatement of
interest for the taxable year 1978. On Feb. 17, 1999,
Ps filed an imperfect petition for review with the
Court under
HELD: This case will be dismissed for lack of
jurisdiction on the ground that the petition was not
filed with the Court within the 180-day period
prescribed in
113 T.C. 132">*132 OPINION
DAWSON, JUDGE: This case was assigned to Chief Special Trial Judge Peter J. Panuthos pursuant to Rules 180, 181, and 183. Unless otherwise indicated, all section references are to the Internal Revenue Code as amended, and all Rule references are to the Tax Court Rules of Practice and Procedure.
The Court agrees with and adopts the opinion of the Special Trial Judge, which is set forth below.
OPINION OF THE SPECIAL TRIAL JUDGE
PANUTHOS, CHIEF SPECIAL TRIAL JUDGE: This matter is before the Court on respondent's Motion to Dismiss for Lack of Jurisdiction. The question presented is whether the petition was filed within the 180-day period prescribed in
BACKGROUND
On August 13, 1998, respondent mailed a final determination letter to petitioners denying their request for an abatement of interest for1999 U.S. Tax Ct. LEXIS 35">*38 the taxable year 1978. The final determination letter was mailed to petitioners at 47 Halstead Avenue, Harrison, NY 10528 (the Halstead Avenue address).
On February 17, 1999, petitioners filed an imperfect petition for review of respondent's failure to grant their request for abatement of interest. The petition arrived at the Court in an envelope bearing a U.S. Postal Service postmark date of February 15, 1999. At the time the petition was filed, petitioners resided at the Halstead Avenue address.
In response to the petition, respondent filed a Motion to Dismiss for Lack of Jurisdiction asserting that the petition was not filed within the 180-day period prescribed in
This matter was called for hearing at the Court's motions session in Washington, D.C. Counsel for respondent appeared at the hearing1999 U.S. Tax Ct. LEXIS 35">*39 and presented argument in support of the pending motion. Petitioners filed a written statement with the Court pursuant to Rule 50(c) and no appearance was made on their behalf at the hearing.
DISCUSSION
The Tax Court is a court of limited jurisdiction, and we may exercise our jurisdiction only to the extent authorized by Congress. See
Abatement of Interest. --
(1) In general. -- The Tax Court shall have
jurisdiction over any action brought by a taxpayer
who meets the requirements referred to in section
7430(c)(4)(A)(ii) to determine whether the
Secretary's failure to abate interest under this
section was an abuse of discretion, and may order
an abatement, if such action is brought1999 U.S. Tax Ct. LEXIS 35">*40 within 180
days after the date of the mailing of the
Secretary's final determination not to abate such
interest.
(2) Special rules. --
(A) Date of mailing. Rules similar to
the rules of
purposes of determining the date of the mailing
referred to in paragraph (1).
Consistent with
The Commissioner's final determination letter "is a prerequisite to the Court's jurisdiction and serves as a taxpayer's 'ticket' to the Tax Court".
There is no dispute in this case that respondent mailed the final determination letter to petitioners on August 13, 1998. In addition, petitioners do not contend that respondent failed to mail the final determination letter to their last known 113 T.C. 132">*135 address. Accordingly, the 180-day filing period prescribed in
To reflect the foregoing,
An order will be entered granting respondent's Motion to Dismiss for Lack of Jurisdiction.
Gilda A. Petrane v. Commissioner , 129 T.C. No. 1 ( 2007 )
Theodore C. and Denise M. Schwartz v. Commissioner , 128 T.C. No. 2 ( 2007 )
Diane Fernandez v. Commissioner , 114 T.C. No. 21 ( 2000 )
Joseph D. and Wanda S. Lunsford v. Commissioner , 117 T.C. No. 16 ( 2001 )
Gwendolyn A. Ewing v. Commissioner , 118 T.C. No. 31 ( 2002 )
Evelyn B. Block v. Commissioner , 120 T.C. No. 4 ( 2003 )
SKALKA v. COMMISSIONER , 2003 Tax Ct. Summary LEXIS 108 ( 2003 )
Weiler v. Comm'r , 86 T.C.M. 325 ( 2003 )
Ogonoski v. Comm'r , 87 T.C.M. 1038 ( 2004 )
Word v. Comm'r , 2008 Tax Ct. Summary LEXIS 29 ( 2008 )
Zaklama v. Comm'r , 104 T.C.M. 760 ( 2012 )