Kevin J. Mirch; Marie Claire Mirch v. Commissioner of Internal Revenue

13-70312Court of Appeals for the Ninth Circuit19 de mai. de 2015

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NOT FOR PUBLICATION
UNITED STATES COURT OF APPEALS
FOR THE NINTH CIRCUIT
KEVIN J. MIRCH; MARIE CLAIRE
MIRCH,
Petitioners - Appellants,
v.
COMMISSIONER OF INTERNAL
REVENUE,
Respondent - Appellee.
No. 13-70312
Tax Ct. No. 15305-11
MEMORANDUM*
Appeal from a Decision of the
United States Tax Court
Submitted May 13, 2015**
Before: LEAVY, CALLAHAN, and M. SMITH, Circuit Judges.
Attorneys Kevin J. and Marie Claire Mirch appeal from the Tax Court’s
order dismissing for lack of jurisdiction their petition challenging the
Commissioner of Internal Revenue’s notice of deficiency for the 2004 tax year.
FILED
MAY 19 2015
MOLLY C. DWYER, CLERK
U.S. COURT OF APPEALS
* This disposition is not appropriate for publication and is not precedent
except as provided by 9th Cir. R. 36-3.
** The panel unanimously concludes this case is suitable for decision
without oral argument. See Fed. R. App. P. 34(a)(2).

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We have jurisdiction pursuant to 26 U.S.C. § 7482(a)(1). We review de novo,
Meruelo v. Comm’r, 691 F.3d 1108, 1114 (9th Cir. 2012), and we affirm.
The Tax Court properly concluded that it lacked jurisdiction because the
Mirches did not file a timely petition for redetermination. See Elings v. Comm’r,
324 F.3d 1110, 1112 (9th Cir. 2003) (“The tax court has jurisdiction only if two
requirements are met: (1) the IRS issued a valid notice of deficiency, and (2) the
petitioner filed a timely petition.”).
The notice of deficiency was sent by certified mail to the Mirches’ last
known address, and they do not challenge the content of the notice. Thus, contrary
to the Mirches’ contentions, there was a valid notice of deficiency. See 26 U.S.C.
§ 6212; see also Scar v. Comm’r, 814 F.2d 1363, 1366-70 (9th Cir. 1987)
(discussing requirements for valid notice of deficiency).
We reject the Mirches’ contentions that the Tax Court was required to
evaluate the validity of any extension of time to assess tax.
AFFIRMED.
13-70312 2

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