Tax Court Does Not Have Jurisdiction to Hear Case Regarding Possible Problems with IRS Notice to Taxpayer Regarding Passport and Seriously Delinquent Tax Debt
In the case of Meduty v. Commissioner, 160 TC No. 13,[1] the Tax Court considered whether it had jurisdiction to review a taxpayer’s claim that the IRS failed to give him proper notice when it certified a seriously delinquent tax debt to the U.S. Secretary of State. Once such a certification is made, it gives the State Department the leeway to potentially limit, revoke, or even deny the taxpayer’s passport privileges.
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