COMMENCEMENT OF ACTION FOR REVIEW OF

Tax Court Rules of Practice and Procedure

Rule: 281

Jurisdiction: US

Bluebook Citation: T.C. R. 281

RULE 281. COMMENCEMENT OF ACTION FOR REVIEW OF FAILURE TO ABATE INTEREST (a) Commencement of Action: for review of the Commissioner’s failure to abate interest under Code section 6404 shall be commenced by filing a petition with the Court. See Rule 20, relating to commencement of case; Rule 22 relating to the place and manner of filing the petition; and Rule 32, regarding the form of pleadings. An action (b) Content of Petition: A petition filed pursuant to this Rule shall be entitled “Petition for Review of Failure To Abate Interest Under Code Section 6404” and shall contain the following: (1) (2) In the case of a petitioner who is an individual, the petitioner’s name and State of legal residence; in the case of a petitioner other than an individual, the petitioner’s name and principal place of business or principal office or agency; and, in all cases, the petitioner’s mailing address. The mailing address, State of legal residence, and principal place of business, or principal office or agency, shall be stated as of the date that the petition is filed. The date upon which the claim for abatement of interest, if any, was mailed to the Internal Revenue Service, and the office to which it was mailed. A copy of each such claim for abatement of interest shall be appended to the petition. (3) The year or years or other periods to which the failure to abate interest relates. (4) Where the Commissioner has issued a notice of final determination not to abate interest: (A) The date of determination; the notice of the Commissioner’s (B) A copy of the notice of determination; (C) (D) In a separate numbered paragraph, a clear and concise assignment of each error, set forth in separate lettered the the petitioner alleges subparagraphs, which Commissioner committed in the determination; and In a separate numbered paragraph, a clear and concise lettered statement of subparagraphs, upon which the petitioner relies to support the assignments of error and the claim for interest abatement. in separate facts, set forth (5) Where the Commissioner has failed to issue a notice of final interest, separate numbered determination not to abate paragraphs containing: (A) A statement that the requested determination is of the type described in Code section 6404(h)(1)(A)(ii); (B) A statement that the Commissioner has not made a determination as to the petitioner’s claim for abatement of interest; and (C) In a separate numbered paragraph, a clear and concise lettered statement of subparagraphs, upon which the petitioner relies to support the claim for an abatement of interest. in separate facts, set forth (6) (7) (8) An appropriate prayer for relief; A statement that the petitioner meets the requirements of Code section 7430(c)(4)(A)(ii); and The signature, mailing address, and telephone number of each petitioner or each petitioner’s counsel, as well as counsel’s Tax Court bar number. (c) 1F For provisions Small Tax Case Under Code Section 7463(f)(3):1 regarding the content of a petition in a small tax case under Code section 7463(f)(3), see Rules 170 through 174. (d) Filing Fee: The fee for filing a petition for review of failure to abate interest shall be $60, payable at the time of filing. The payment of any fee under this paragraph may be waived if the petitioner establishes to the satisfaction of the Court by an affidavit or a declaration containing specific financial information that the petitioner is unable to make such payment. (As amended and effective March 1, 2008, 130 T.C. 565–67; as amended, effective July 6, 2012, 139 T.C. 572–73; generally effective November 30, 2018, 153 T.C. 280– 82. For prior history, see 109 T.C. 707–08 (1997).) 1

Chat with this court rule using AI

Ask CiteLaw's AI Navigator anything about this court rule, verify citations, and research related authorities. Sign up for CiteLaw free today to get started.