Petition Kit
Petition Kit
Petition Kit
Attached are the forms to use in filing your case in the United States Tax Court. It is very important that
you take time to carefully read the information on this page and that you properly complete and submit these
forms to the United States Tax Court, 400 Second Street, N.W., Washington, D.C. 20217.
Small Tax Case or Regular Tax Case
If you seek review of one of the five types of cases listed in paragraph 1 of the petition form (Form 2),
you may file your petition as a small tax case if your dispute meets certain dollar limits (described below).
Small tax cases are handled under simpler, less formal procedures than regular cases. However, the Tax
Courts decision in a small tax case cannot be appealed to a Court of Appeals by the IRS or by the taxpayer(s).
You can choose to have your case conducted as either a small tax case or a regular case by checking the
appropriate box in paragraph 4 of the petition form (Form 2). If you check neither box, the Court will file your
case as a regular case.
Dollar Limits: Dollar limits for a small tax case vary slightly depending on the type of IRS action you
seek to have the Tax Court review:
(1) If you seek review of an IRS Notice of Deficiency, the amount of the deficiency (including any
additions to tax or penalties) that you dispute cannot exceed $50,000 for any year.
(2) If you seek review of an IRS Notice of Determination Concerning Collection Action, the total
amount of unpaid tax cannot exceed $50,000 for all years combined.
(3) If you seek review of an IRS Notice of Determination Concerning Your Request for Relief From
Joint and Several Liability (or if the IRS failed to send you any Notice of Determination with respect to a request
for spousal relief that you submitted to the IRS at least 6 months ago), the amount of spousal relief sought
cannot exceed $50,000 for all years combined.
(4) If you seek review of an IRS Determination of Worker Classification, the amount in dispute cannot
exceed $50,000 for any calendar quarter.
(5) If you seek review of an IRS Notice of Final Determination Not to Abate Interest (or if the IRS failed
to send you a Notice of Final Determination with respect to a claim for interest abatement that you filed with the
IRS at least 180 days before), the amount of the abatement cannot exceed $50,000.
Enclosures
To help ensure that your case is properly processed, please enclose the following items when you mail
your petition to the Tax Court:
1.
A copy of any Notice of Deficiency, Notice of Determination, or Final Determination the IRS sent you;
2.
3.
4.
The $60 filing fee, payable by check, money order, or other draft, to the "Clerk, United States Tax
Court"; or, if applicable, the fee waiver form.
For further important information, see the Courts Web site at www.ustaxcourt.gov or the Information
for Persons Representing Themselves Before the U.S. Tax Court booklet available from the Tax Court.
www.ustaxcourt.gov
(FIRST)
(MIDDLE)
(LAST)
Petitioner(s)
Docket No.
v.
COMMISSIONER OF INTERNAL REVENUE,
Respondent
PETITION
1. Please check the appropriate box(es) to show which IRS NOTICE(s) you dispute:
G Notice of Deficiency
Please see the Courts Web site, www.ustaxcourt.gov, or information booklet for additional information
if (1) you filed a claim for interest abatement or requested relief from joint and several liability, and the
IRS has not made a determination, or (2) the petition involves a worker classification case.
2. Provide the date(s) the IRS issued the NOTICE(S) checked above and the city and State of the IRS office(s) issuing
the NOTICE(S):
3. Provide the year(s) or period(s) for which the NOTICE(S) was/were issued:
4. SELECT ONE OF THE FOLLOWING:
If you want your case conducted under small tax case procedures, check here: G
If you want your case conducted under regular tax case procedures, check here: G
(CHECK
ONE BOX)
NOTE: A decision in a small tax case cannot be appealed to a Court of Appeals by the taxpayer or the IRS.
If you do not check either box, the Court will file your case as a regular tax case.
5. Explain why you disagree with the IRS determination in this case (please list each point separately):
6. State the facts upon which you rely (please list each point separately):
You may use additional pages to explain why you disagree with the IRS determination or to state additional
facts. Please do not submit tax forms, receipts, or other types of evidence with this petition.
ENCLOSURES:
Please check the appropriate boxes to show that you have enclosed the following items with this petition:
G A copy of any NOTICE(S) the IRS issued to you
G Statement of Taxpayer Identification Number (Form 4) (See PRIVACY NOTICE below)
G The Request for Place of Trial (Form 5)
PRIVACY NOTICE: Form 4 (Statement of Taxpayer Identification Number) will not be part of the Courts public
files. All other documents filed with the Court, including this Petition and any IRS Notice that you enclose with this
Petition, will become part of the Courts public files. To protect your privacy, you are strongly encouraged to omit or
remove from this Petition, from any enclosed IRS Notice, and from any other document (other than Form 4) your
taxpayer identification number (e.g., your Social Security number) and certain other confidential information as
specified in the Tax Courts Notice Regarding Privacy and Public Access to Case Files, available at
www.ustaxcourt.gov.
SIGNATURE OF PETITIONER
DATE
MAILING ADDRESS
DATE
MAILING ADDRESS
NAME OF COUNSEL
E-MAIL ADDRESS
DATE
Petitioner(s)
Docket No.
v.
COMMISSIONER OF INTERNAL REVENUE,
Respondent
Name of Petitioner
Petitioners Taxpayer Identification Number
Name of Additional Petitioner
Additional Petitioners Taxpayer Identification Number
If either petitioner is seeking relief from joint and several liability on a joint return
pursuant to Section 6015, I.R.C. 1986, and Rules 320 through 325, name of the other individual
with whom petitioner filed a joint return:
DATE
DATE
Docket No.
KANSAS
9 Wichita*
KENTUCKY
9 Louisville
LOUISIANA
9 New Orleans
9 Shreveport*
MAINE
9 Portland*
MARYLAND
9 Baltimore
MASSACHUSETTS
9 Boston
MICHIGAN
9 Detroit
MINNESOTA
9 St. Paul
MISSISSIPPI
9 Jackson
MISSOURI
9 Kansas City
9 St. Louis
MONTANA
9 Billings*
9 Helena
NEBRASKA
9 Omaha
NEVADA
9 Las Vegas
9 Reno
NEW MEXICO
9 Albuquerque
NEW YORK
9 Albany*
9 Buffalo
9 New York City
9 Syracuse*
NORTH CAROLINA
9 Winston-Salem
NORTH DAKOTA
9 Bismarck*
OHIO
9 Cincinnati
9 Cleveland
9 Columbus
OKLAHOMA
9 Oklahoma City
OREGON
9 Portland
PENNSYLVANIA
9 Philadelphia
9 Pittsburgh
SOUTH CAROLINA
9 Columbia
SOUTH DAKOTA
9 Aberdeen*
TENNESSEE
9 Knoxville
9 Memphis
9 Nashville
TEXAS
9 Dallas
9 El Paso
9 Houston
9 Lubbock
9 San Antonio
UTAH
9 Salt Lake City
VERMONT
9 Burlington*
VIRGINIA
9 Richmond
9 Roanoke*
WASHINGTON
9 Seattle
9 Spokane
WEST VIRGINIA
9 Charleston
WISCONSIN
9 Milwaukee
WYOMING
9 Cheyenne*
Date