Opinion
24223-21
11-03-2022
ANDREW THURSTON & AMY THURSTON, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
ORDER
Kathleen Kerrigan, Chief Judge
On November 17, 2021, respondent filed in the above docketed case a Motion To Dismiss for Lack of Jurisdiction as to Notice of Final Determination Disallowance of Interest, on the grounds that: (1) No notice of final determination for full or partial disallowance of an interest abatement claim pursuant to section 6404(h) of the Internal Revenue Code (I.R.C.), had been sent to petitioners for the tax year 2018 as of the date the petition herein was filed; and (2) petitioners had not submitted to the Internal Revenue Service (IRS) a claim for interest abatement for 2018. In the motion, respondent indicated that petitioners had no objection to the granting thereof.
Upon due consideration, it is
ORDERED that respondent's just referenced Motion To Dismiss For Lack of Jurisdiction as to Notice of Final Determination Disallowance of Interest is granted. This case is dismissed for lack of jurisdiction as to any interest abatement claim for 2018, and references in the petition to such a notice are deemed stricken.