2021 Exam questions
2018 Exam Questions
2016 Exam Questions
Fill in the Blanks
Fill in the Blanks
100

True or False and WHY

The Court has Jurisdiction to determine an overpayment and order a refund or credit in a Collection Due Process (CDP) proceeding.


False

The Court can determine an overpayment and order a refund or credit in a deficiency case, not in CDP.

2021 P-1(d), page 157

100

The last day for TP to timely file a petition with the Court was April 22, 2015. The Court received the petition via certified mail on April 29, 2015. The envelope containing the petition was properly addressed and had been deposited at a US Post Office with sufficient postage prepaid via Stanps.com. Affixed to the envelope containing the petition was a Stamps.com postage label bearing the date April 21, 2015, the date on which the postage was paid and the label printed. The envelope did not bear a USPS postmark. 

Does the court have jurisdiction?

Yes.

Case is Lincoln Pearson and Victoria Pearson

2018 P01(a), page 158

100

The IRS issued one SNoD asserting an deficiency of income tax in each of three taxable years of TP. Is such a notice for multiple years a proper notice for purposes of Tax Court jurisdiction as to each of the three years?

Yes

2016 P-1(f)

100

Regarding the Court's jurisdiction over the abatement of interest due to an error or delay by an IRS official, fill in the below blanks:

A ________________ act is a procedural or mechanical act that does not involve the exercise of judgment or discretion and that occurs during the processing of a taxpayer's case after all prerequisites have taken place. 

A ________________ act is an administrative act that occurs during the processing of a taxpayer's case involving the temporary or permanent loss of records or the exercise of judgment or discretion relating to management of personnel. 

Ministerial 

Managerial

100

Whistleblower awards depend on the IRS both ______________ an administrative or judicial action and _________________ Title 26 proceeds (tax, penalties, interest, additions to tax, etc.) if the disputed amount exceeds 2 million. The award is at least 15% but not more than 30% of the collected proceeds. 

initiating

collecting

Page 78

200

True or False and WHY

The Court has deficiency jurisdiction with respect to IRC 3402 withholding taxes. 

False. 

IRC 3402 relates to payroll taxes, which is not jurisdictional unless relating to employment classification determination.

2021 P-1(g), page 158

200

With respect to the issue of whether the Court has jurisdiction, describe (1) by whom may the issue be raised, and (2) when the issue may be raised.

1) Either party or the Court may raise the issue on whether the Tax court has jurisdiction. It must be raised before the Court issues its opinion. 

2018 P-2, page 160

200

Yes or No and Identify Statute

The IRS issues to TP a SNoD with respect to one taxable year. The notice determines an income tax deficiency and also XXXXXXXX penalties pursuant to 6662(a) and (b)(2). TP petitions the Tax Court to dispute the deficiency amount and the XXXXXXX penalties. Does the Tax Court have jurisdiction regarding the  XXXXXXX penalties?

Yes

Accuracy-related penalties

2016 P-1(c), page 161


200

Fill in the blanks:

Regarding the Tax Court's jurisdiction to redetermine a deficiency in income, gift, or estate taxes under 6213, a deficiency in income tax includes:

1) A tax on ______________ earnings

2) Personal _____________ company taxes

3) Self-employment tax

4) Liability for withholding of tax on....etc.

1) Accumulated

2) Holding

Page 48

200

Situations where the Tax Court does not have Jurisdiction include:

1) Imposition of ____________ return penalties (6702 penalties), but remember they CAN hear a ______ case relating to these penalties.

frivolous

CDP

Page 82

300

True or False and WHY

TP prepares tax returns for other persons, and TP received from the IRS a notice and demand for penalty pursuant to 6695(b) for failing to sign the tax returns of some of TP's clients. TP petitioned the Tax Court to challenge the penalty. Based solely on the notice and demand, the Tax Court has jurisdiction. 

False

WHY: The Tax Court does not have jurisdiction over preparer penalties unless they come in through a CDP hearing. 

2021 P-1(i), page 158

300

Yes or No and Identify the Exact Time Limitation:

Is the time limitation of 6015(e)(1)(A)(ii) jurisdictional with respect to the court?


Yes

(ii) not later than the close of the 90th day after the date described in clause (i)(I).

2018 P-1(d), page 160

300

Yes or No and Identify Statute

TP, who provides tax advice to other persons, received from the IRS a notice and demand for penalty pursuant to 6694(a). TP petitioned the Tax Court to challenge the penalty. Does the Tax Court have jurisdiction if the petition is unrelated to a proceeding under 6320 and 6330?

No

Understatement due to unreasonable positions

300

Disclosure Actions

Any written determination (ruling, determination letter, TAM, or Chief Counsel advice) and related background documents are open to specific inspection after the IRS redacts specific identifying info. 

After exhausting all available administrative remedies within the IRS, the taxpayer can petition the Tax Court to restrain disclosure.

A petition must be filed within ____ days after the IRS mails a notice of intention to disclose information. 

How many days?

60

Page 51

300

IRC sections that do not involve deficiencies do not confer jurisdiction on the Court, Therefore, no TC jurisdiction exists when the IRS is not required to issue a NoD.

This includes:

The 6672 penalty, which is the ________  ______ ____________ penalty.

Trust fund recovery

Page 82

500

Regarding 6015(f) Equitable Relief, take the next 30 seconds to name as many factors as possible AGAINST relief.

Type them in the Slack!

1) The liability is attributable to the requesting spouse.

2) The requesting spouse had knowledge.

3) The requesting spouse received a significant benefit (beyond support) from unpaid liability.

4) There is no economic hardship to to the requesting spouse.

5) The requesting spouse has been noncompliant with federal income tax laws since then, or

6) It is the requesting spouse's legal obligation to pay the amount due.  

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