Bunton v. Commissioner T.C. Memo. 2022-20
On March 10, 2022, the Tax Court issued a Memorandum Opinion in the case of Bunton v. Commissioner (T.C. Memo. 2022-20). The primary issues presented in Bunton v. Commissioner were (1) whether Brian and Karen were entitled to challenge the existence and amounts of their underlying tax liabilities for the tax years at issue during their collection due process (CDP) proceeding, (2) whether Appeals properly verified the requirements of applicable law and procedure were met, (3) whether Appeals abused its discretion in denying Brian and Karen a face-to-face hearing, and (4) whether Appeals abused its discretion in considering issues raised under IRC § 6330(c)(2). Held: No, not even a little bit. Also, tax protester alert! Background to Bunton v. Commissioner (Featuring the Tax Protesters, Brian and Karen Bunton) On April 15, 2014, Brian and Karen (Brian and Karen…of course she’s a Karen) timely filed a joint 2013 Form 1040. Brian…



