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Alamrani v. Comm'r of Internal Revenue

United States Tax Court
Jun 9, 2023
No. 32193-21S (U.S.T.C. Jun. 9, 2023)

Opinion

32193-21S

06-09-2023

DANIELLE ALAMRANI & DAWOOD ALAMRANI, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent


ORDER OF DISMISSAL FOR LACK OF JURISDICTION

Kathleen Kerrigan Chief Judge

This case for the redetermination of a deficiency is before the Court on respondent's Motion to Dismiss for Lack of Jurisdiction. Petitioners oppose the Motion. For the reasons that follow, we must grant respondent's Motion and dismiss this case for lack of jurisdiction.

On August 30, 2021, respondent sent to petitioners, by certified mail to their last known address, a Notice of Deficiency for the taxable year 2018. The Notice is addressed to petitioners at a mailing address within the United States and informs them that the last date to file a petition with this Court is November 29, 2021.

On November 30, 2021, petitioners electronically filed the Petition to commence this case. The Petition seeks redetermination of the aforementioned deficiency.

The Tax Court is a court of limited jurisdiction, and we may exercise our jurisdiction only to the extent authorized by Congress. See § 7442; Hallmark Research Collective v. Commissioner, No. 21284-21, 159 T.C., slip op. at 11 (Nov. 29, 2022). Where, as here, this Court's jurisdiction is duly challenged, our jurisdiction must be affirmatively shown by the party seeking to invoke that jurisdiction. See David Dung Le, M.D., Inc. v. Commissioner, 114 T.C. 268, 270 (2000), aff'd, 22 Fed.Appx. 837 (9th Cir. 2001); Romann v. Commissioner, 111 T.C. 273, 280 (1998); Fehrs v. Commissioner, 65 T.C. 346, 348 (1975). To meet this burden, the party "must establish affirmatively all facts giving rise to our jurisdiction." David Dung Le, M.D., Inc., 114 T.C. at 270.

Unless otherwise indicated, all statutory references are to the Internal Revenue Code, Title 26 U.S.C., in effect at all relevant times, and all Rule references are to the Tax Court Rules of Practice and Procedure.

In a case seeking redetermination of a deficiency, as here, our jurisdiction depends upon the issuance of a valid notice of deficiency and the timely filing of a petition. See §§ 6212 and 6213; Rule 13(a) and (c); Hallmark Research Collective, slip op. at 6 n.4 (collecting cases). Generally, a notice of deficiency will be deemed valid for this purpose if it is sent to the taxpayer's last known address by certified or registered mail. See § 6212(a) and (b); Yusko v. Commissioner, 89 T.C. 806, 807 (1987). In order to be timely, a petition must be filed within 90 days (or 150 days if the notice is addressed to a person outside the United States) of the date on which the Commissioner mails a valid notice of deficiency. See § 6213(a); Estate of Cerrito v. Commissioner, 73 T.C. 896, 898 (1980). We have no authority to extend this 90-day period. See Hallmark Research Collective, slip op. at 42; see also Organic Cannabis Found., LLC v. Commissioner, 962 F.3d 1082, 1092-1095 (9th Cir. 2020).

Because the Notice of Deficiency was mailed to petitioners' last known address on August 30, 2021, the last date to file a petition with this Court as to that Notice was November 29, 2021, as stated in the Notice. As noted above, petitioners electronically filed the Petition in this case on November 30, 2021. Consequently, the Petition was not filed within the period prescribed by the Internal Revenue Code, and this case must be dismissed for lack of jurisdiction.

The 90th day after the date of mailing was Sunday, November 28, 2021; however, section 6213(a) provides that Saturdays, Sundays, and legal holidays in the District of Columbia are not counted as the last day of the 90-day period.

In their Notice of Objection to respondent's Motion to Dismiss, petitioners assert that the COVID-19 pandemic prevented them from submitting their Petition any sooner.

The COVID-19 pandemic did lead to the extension of certain tax-related filing deadlines, including the deadline for filing a petition with this Court; however, the circumstances here fall outside the relief afforded. The Court's decision in Guralnik v. Commissioner, 146 T.C. 320 (2016), together with Notice 2020-23, 2020-18 I.R.B. 742 (Apr. 27, 2020), extended to July 15, 2020, the deadline for filing petitions with due dates between March 19, 2020, and July 15, 2020. But, as noted above, the due date for filing a petition in this case was November 29, 2021. Thus, the relevant authorities had no effect on the due date in this case, and the Petition was untimely, even after accounting for the extensions granted due to the COVID-19 pandemic.

We are sympathetic to petitioners' circumstances. But we have no authority to extend the time for filing a petition for redetermination of a deficiency "whatever the equities of a particular case may be and regardless of the cause for its not being filed within the required period." Axe v. Commissioner, 58 T.C. 256, 259 (1972). Nevertheless, while petitioners cannot pursue their case in this Court, they may continue to pursue administrative resolution of the 2018 tax liability with the Internal Revenue Service (IRS). Another remedy potentially available to petitioners, if feasible, is to pay the determined amount and thereafter file a claim for refund with the IRS. If that claim is denied (or not acted upon after six months), petitioners may file a suit for refund in the appropriate U.S. District Court or the U.S. Court of Federal Claims. See McCormick v. Commissioner, 55 T.C. 138, 142 n.5 (1970).

In consideration of the foregoing, it is

ORDERED that respondent's Motion to Dismiss for Lack of Jurisdiction, filed January 4, 2022, is granted, and this case is dismissed for lack of jurisdiction.


Summaries of

Alamrani v. Comm'r of Internal Revenue

United States Tax Court
Jun 9, 2023
No. 32193-21S (U.S.T.C. Jun. 9, 2023)
Case details for

Alamrani v. Comm'r of Internal Revenue

Case Details

Full title:DANIELLE ALAMRANI & DAWOOD ALAMRANI, Petitioners v. COMMISSIONER OF…

Court:United States Tax Court

Date published: Jun 9, 2023

Citations

No. 32193-21S (U.S.T.C. Jun. 9, 2023)