Boechler V. Commissioner
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OR:

''Boechler v. Commissioner'', 596 U.S. ___ (2022), was a
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case related to
Title 26 The Internal Revenue Code (IRC), formally the Internal Revenue Code of 1986, is the domestic portion of federal statutory tax law in the United States, published in various volumes of the United States Statutes at Large, and separately as Title 26 ...
of the
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(aka. Internal Revenue Code) and equitable tolling. It is regarding the
statutory interpretation Statutory interpretation is the process by which courts interpret and apply legislation. Some amount of interpretation is often necessary when a case involves a statute. Sometimes the words of a statute have a plain and a straightforward meani ...
of and whether the tax court would have
jurisdiction Jurisdiction (from Latin 'law' + 'declaration') is the legal term for the legal authority granted to a legal entity to enact justice. In federations like the United States, areas of jurisdiction apply to local, state, and federal levels. Jur ...
over petitions to the tax court if the petition exceeded the 30 days time frame. In a
unanimous Unanimity is agreement by all people in a given situation. Groups may consider unanimous decisions as a sign of social, political or procedural agreement, solidarity, and unity. Unanimity may be assumed explicitly after a unanimous vote or impl ...
decision by the court, they ruled that 30 day timeline is non-jurisdictional and is protected by
equitable tolling Tolling is a legal doctrine that allows for the pausing or delaying of the running of the period of time set forth by a statute of limitations, such that a lawsuit may potentially be filed even after the statute of limitations has run. Although gro ...
.


Background

On June 5, 2015, the
Internal Revenue Service The Internal Revenue Service (IRS) is the revenue service for the United States federal government, which is responsible for collecting U.S. federal taxes and administering the Internal Revenue Code, the main body of the federal statutory ta ...
s (IRS), sent a letter to Boechler, P.C. after noting a discrepancy with their prior submission of tax documents. Boechler, a North Dakota law firm, ignored the letter sent by the IRS, which led to them being imposed a 10% intentional disregard penalty. Similarly, Boechler did not pay the penalty. The IRS informed Boechler of their intent to levy, in which Boechler responded but did not establish reasonable grounds for relief. The
Independent Office of Appeals The Independent Office of Appeals ("Appeals") is an independent organization within the U.S. Internal Revenue Service that helps taxpayers resolve their tax disputes through an informal, administrative process. Its mission is to resolve tax con ...
, the only method to settle a tax dispute without tax litigation in court, sustained the levy and sent Boechler the notice of determination on July 28, 2017. The notice of determination was received by Boechler on July 31, 2017, but it stated that they had to submit a petition for a Collection Due Process (CDP) hearing within 30 days (by August 28, 2017). On August 29, Boechler submitted their petition for a CDP hearing, a day after the stated 30-day deadline. The IRS argued in the
United States Tax Court The United States Tax Court (in case citations, T.C.) is a federal trial court of record established by Congress under Article I of the U.S. Constitution, section 8 of which provides (in part) that the Congress has the power to "constitute Trib ...
that the court lacked jurisdiction to hear the case and requested the court to dismiss the case. The Tax Court agreed and dismissed the petition. Boechler appealed this decision to the
United States Court of Appeals for the Eighth Circuit The United States Court of Appeals for the Eighth Circuit (in case citations, 8th Cir.) is a United States federal court with appellate jurisdiction over the following United States district courts: * Eastern District of Arkansas * Western Dis ...
arguing that the 30-day time limit is not jurisdictional, should be covered by equitable tolling, and to calculate the time limit from the issuance of the levy instead of the date of receiving the levy is in violation of
due process Due process of law is application by state of all legal rules and principles pertaining to the case so all legal rights that are owed to the person are respected. Due process balances the power of law of the land and protects the individual pers ...
. In a 3-0 decision, the Eighth Circuit affirmed the Tax Court's decision and reiterated that the Tax Court has no jurisdiction for untimely petitions for review. Boechler filed a petition for writ of
certiorari In law, ''certiorari'' is a court process to seek judicial review of a decision of a lower court or government agency. ''Certiorari'' comes from the name of an English prerogative writ, issued by a superior court to direct that the record of ...
to the Supreme Court of the United States.


Supreme Court

The court granted certiorari on September 30, 2021, and heard oral arguments on January 12, 2022. On April 21, 2022, the Supreme Court reversed and remanded the lower court judgements in a unanimous opinion by Justice Amy Coney Barrett. In her opinion, Justice Barrett wrote how the phrase "such matters", held in parenthesis in , represents the Tax Court having jurisdiction over tax litigation and is not a jurisdictional deadline. She contends that the Commissioner's interpretation could be better than the petitioners, but the bottom line is that it is "not clear" and therefore rejecting the Commissioner's interpretation of "such matters" referring to the 30 day deadline as jurisdictional. She adds that such non-jurisdictional deadline would not help Boechler unless it is able to be equitably tolled, calling equitable tolling "traditional feature of
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".


References


External links

*{{Caselaw source , case=''Boechler v. Commissioner'', {{ussc, 596, ___, 2022, el=no , googlescholar = https://scholar.google.com/scholar_case?case=3150714713747929142 , justia=https://supreme.justia.com/cases/federal/us/596/20-1472/ , oyez=https://www.oyez.org/cases/2021/20-1472 , other_source1=Supreme Court (slip opinion) , other_url1=https://www.supremecourt.gov/opinions/21pdf/20-1472_6j37.pdf 2022 in United States case law United States Supreme Court cases United States Supreme Court cases of the Roberts Court United States statutory interpretation case law United States taxation and revenue case law United States Tax Court cases