Opinion · United States Tax Court

Fortugno v. Commissioner

41 T.C. 316

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1963-11-26
Topic
general

OPINION Fay, Judge: The parties are agreed that petitioners have paid to the district director an amount in excess of their tax liabilities. The only issue before us is when was the overpayment made. Petitioners take the position that the overpayment was made on August 31, 1954 (or September 7, 1954),3 at which time the $1 million was remitted to the respondent. The respondent takes the position that no overpayment exists until petitioners’ tax liability is actually fixed by an assessment or by an agreement between the petitioners and the respondent. Since this Court is given jurisdiction to find an overpayment of taxes under section 6512(b) of the Internal Revenue Code of 1954 with respect to any year properly before it, and since the issue in this case concerns whether an overpayment exists as of a particular taxable year, we. conclude that we have jurisdiction in the instant proceedings; See Fred Draper, 32 T.C. 545, 555 (1959); Estate of Lawrence M.

Citator

UpLaw has not yet analyzed Fortugno v. Commissioner. The absence of a flag is not a finding that it is good law.

Authority status
pending
Cited by
4 opinions