Episode Details

Back to Episodes
Oral Argument: Boechler, P.C. v. Commissioner of Internal Revenue | Case No. 20-1472 | Date Argued: 1/12/2022 | Date Decided: 4/21/2022

Oral Argument: Boechler, P.C. v. Commissioner of Internal Revenue | Case No. 20-1472 | Date Argued: 1/12/2022 | Date Decided: 4/21/2022

Season 2021 Episode 30 Published 4 years, 2 months ago
Description

Boechler, P.C. v. Commissioner of Internal Revenue | Case No. 20-1472 | Date Argued: 1/12/2022 | Date Decided: 4/21/2022

Background: Section 6330(d)(1) of the Internal Revenue Code establishes a 30-day time limit to file a petition for review in the Tax Court of a notice of determination from the Internal Revenue Service ("IRS").

Question Presented: Whether the time limit in Section 6330(d)(1) is a jurisdictional requirement or a claim-processing rule subject to equitable tolling.

Holding: Section 6330(d)(1)’s 30-day time limit to file a petition for review of a collection due process determination is a nonjurisdictional deadline subject to equitable tolling.

Result: Judgment REVERSED and case REMANDED.

Voting Breakdown: 9-0. Justice Barrett delivered the opinion for a unanimous Court.

Link to Opinion: Here.

Oral Advocates:

For Petitioner: Melissa Arbus Sherry, Washington, D.C. For Respondent: Jonathan C. Bond, Assistant to the Solicitor General, Department of Justice, Washington, D.C.

Listen Now

Love PodBriefly?

If you like Podbriefly.com, please consider donating to support the ongoing development.

Support Us