Thomas v. Commissioner
T.C. Memo. 2020-33

On March 5, 2020, the Tax Court issued a Memorandum Opinion in the case of Thomas v. Commissioner (T.C. Memo. 2020-33). The single issue presented in Thomas v. Commissioner was whether the petitioners timely filed their petition within the time prescribed by IRC § 6213(a) or IRC § 7502, which in turn depended on whether a private postmark bearing a previous date to the USPS postmark was controlling. Background to Thomas v. Commissioner In November 2017, the IRS mailed petitioners, by certified mail to their last known address, a statutory notice of deficiency (SNOD) for tax year 2015. The SNOD, dated December 2017, advised petitioners that they had 90 days from the date of the notice to file a petition in the Tax Court for a redetermination of the deficiency. The notice of deficiency also stated that the last day to petition the Tax Court was March 5, 2018. On…

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Wong v. Commissioner
T.C. Memo. 2020-32

On March 5, 2020, the Tax Court issued a Memorandum Opinion in the case of Wong v. Commissioner (T.C. Memo. 2020-32). The single issue presented in Wong v. Commissioner was whether Wong was right, which is to say, whether the IRS’s determination to sustain the collection action against the petitioner was proper as a matter of law. Background to Wong v. Commissioner Petitioner, Do Wong, filed a timely Federal income tax return for 2013, reporting a tax liability of $10,395. Because his tax payments for 2013 exceeded that amount, he reported an overpayment on his 2013 return and elected to have the overpayment applied to his tax liability for 2014. The IRS selected petitioner’s 2013 return for examination. Finding that Do Wong, in fact, did wrong, the IRS made numerous adjustments to his return, including the disallowance (for lack of substantiation) of deductions for several hundred thousand dollars of business…

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Liu v. Commissioner
T.C. Memo. 2020-31

On March 5, 2020, the Tax Court issued a Memorandum Opinion in the case of Liu v. Commissioner (T.C. Memo. 2020-31). The single issue presented in Liu v. Commissioner was whether the Tax Court had jurisdiction to determine whether petitioners were liable for interest on the deficiencies determined by the IRS because the IRS filed an erroneous notice of Federal tax lien (NFTL). Background to Liu v. Commissioner Petitioners each owned a 50% interest in an S corporation. The petitioners reported receiving qualified dividends from the S corporation rather than ordinary income. The IRS examined the returns and determined that the petitioners received ordinary income rather than qualified dividends. The IRS issued notices of deficiency in which it determined that the petitioners overstated their qualified dividend income, and, as a consequence, the IRS increased the petitioners’ ordinary income received by an S corporation on the petitioners’ Schedule E (Supplemental Income…

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Sun River Financial Trust v. Commissioner
T.C. Memo. 2020-30

On March 5, 2020, the Tax Court issued a Memorandum Opinion in the case of Sun River Financial Trust v. Commissioner (T.C. Memo. 2020-30). The single issue presented in Sun River Financial Trust v. Commissioner was whether the IRS abused its discretion in sustaining a proposed levy and the filing of a notice of Federal tax lien (NFTL) with respect to petitioner’s unpaid IRC § 6702 (frivolous return) penalties for 2010 and 2011. Background to Sun River Financial Trust v. Commissioner Any case that contains a long footnote in which the Tax Court summarizes the petitioner’s frivolous arguments promises to be interesting, and Sun River Financial does not disappoint. The petitioner filed delinquent returns for 2010 and 2011. Not an auspicious start. Though the petitioner reported $42,000 and $54,000 in taxable income for these years, it also reported zero tax due and claimed a full refund of the amount of tax…

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