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Williams v. Comm'r of Internal Revenue

United States Tax Court
Sep 14, 2023
No. 14494-23S (U.S.T.C. Sep. 14, 2023)

Opinion

14494-23S

09-14-2023

DEBORAH WILLIAMS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent


ORDER

Kathleen Kerrigan Chief Judge

On September 11, 2023, the petition commencing this case was electronically filed. When a petition is electronically filed with the Court, the combination of the username and password of the individual efiling the petition serves as the signature of that individual. See the DAWSON User Guides on the Court's website, www.ustaxcourt.gov. The petition in this case was electronically filed using an email address belonging to tricia@tricialyonscpa.com and thus the petition is treated as having been signed by that individual. Upon review of the entire record, it appears that the email address used to electronically file the petition is not part of the record and does not correspond with the email addresses listed on page 2 of the petition for petitioner. The Tax Court, unlike the Internal Revenue Service, does not recognize powers of attorney. See Rules 24(a), 200; see also Ruggere v. Commissioner, 78 T.C. 979, 989 (1982). At this juncture the email address at tricia@tricialyonscpa.com used to electronically file the petition will be disabled from Court's records and will not be associated with this case.

The petition bore a signature for petitioner. Insofar as the Court's procedures require all petitions to bear signatures of the taxpayers provided at minimum to the filing party signature and so maintained by the filing party, petitioner's intention to file and prosecute this case in this forum has been adequately verified.

The Court has prepared Q&As on the subject "Representing a Taxpayer Before the U.S. Tax Court. A copy of these Q&As are attached to this Order. The Court encourages practitioners and non-attorneys seeking admission to practice before the Court to consult "Guidance for Practitioners" on the Court's website at www.ustaxcourt.gov/practitioners.html. Petitioner is advised that she may represent herself or seek representation by an individual who is admitted to practice before this Court. An individual admitted to practice before the Court will have an assigned Tax Court Bar number.

ORDERED that the Clerk of the Court shall change petitioner's service preference from "electronic" to "paper." It is further

ORDERED that the Clerk of the Court is directed to attach to the copy of this Order the Court's Q&As on the subject "Representing a Taxpayer Before the U.S. Tax Court".

The Court encourages all litigants to register for DAWSON (Docket Access Within a Secure Online Network),the U.S. Tax Court's electronic filing and case management system. By registering, litigants may electronically file and view documents in their Tax Court case. If you currently file in paper or receive paper service from the Court, petitioners and not power of attorneys must register for DAWSON by sending an email request to dawson.support@ustaxcourt.gov.


Summaries of

Williams v. Comm'r of Internal Revenue

United States Tax Court
Sep 14, 2023
No. 14494-23S (U.S.T.C. Sep. 14, 2023)
Case details for

Williams v. Comm'r of Internal Revenue

Case Details

Full title:DEBORAH WILLIAMS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE…

Court:United States Tax Court

Date published: Sep 14, 2023

Citations

No. 14494-23S (U.S.T.C. Sep. 14, 2023)