Filed: May 20, 2016
Latest Update: Mar. 02, 2020
Summary: UNPUBLISHED UNITED STATES COURT OF APPEALS FOR THE FOURTH CIRCUIT No. 16-1043 CHARLES DERECK ADAMS; MELINDA ELIZABETH ADAMS, Petitioners - Appellants, v. COMMISSIONER OF INTERNAL REVENUE, Respondent - Appellee. Appeal from the United States Tax Court. (Tax Ct. No. 015556-13) Submitted: May 18, 2016 Decided: May 20, 2016 Before SHEDD, DIAZ, and HARRIS, Circuit Judges. Dismissed by unpublished per curiam opinion. Charles Dereck Adams, Melinda Elizabeth Adams, Appellants Pro Se. Gilbert Steven Roth
Summary: UNPUBLISHED UNITED STATES COURT OF APPEALS FOR THE FOURTH CIRCUIT No. 16-1043 CHARLES DERECK ADAMS; MELINDA ELIZABETH ADAMS, Petitioners - Appellants, v. COMMISSIONER OF INTERNAL REVENUE, Respondent - Appellee. Appeal from the United States Tax Court. (Tax Ct. No. 015556-13) Submitted: May 18, 2016 Decided: May 20, 2016 Before SHEDD, DIAZ, and HARRIS, Circuit Judges. Dismissed by unpublished per curiam opinion. Charles Dereck Adams, Melinda Elizabeth Adams, Appellants Pro Se. Gilbert Steven Rothe..
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UNPUBLISHED
UNITED STATES COURT OF APPEALS
FOR THE FOURTH CIRCUIT
No. 16-1043
CHARLES DERECK ADAMS; MELINDA ELIZABETH ADAMS,
Petitioners - Appellants,
v.
COMMISSIONER OF INTERNAL REVENUE,
Respondent - Appellee.
Appeal from the United States Tax Court.
(Tax Ct. No. 015556-13)
Submitted: May 18, 2016 Decided: May 20, 2016
Before SHEDD, DIAZ, and HARRIS, Circuit Judges.
Dismissed by unpublished per curiam opinion.
Charles Dereck Adams, Melinda Elizabeth Adams, Appellants Pro
Se. Gilbert Steven Rothenberg, Senior Attorney, Richard Farber,
Curtis Clarence Pett, UNITED STATES DEPARTMENT OF JUSTICE,
Washington, D.C., William J. Wilkins, INTERNAL REVENUE SERVICE,
Washington, D.C, for Appellee.
Unpublished opinions are not binding precedent in this circuit.
PER CURIAM:
Charles Dereck Adams and Melinda Elizabeth Adams seek to
appeal the tax court’s order sustaining the Commissioner’s
assessment of a deficiency and penalty with respect to the
Adamses’ 2010 federal income tax liability. We dismiss the
appeal for lack of jurisdiction because the notice of appeal was
not timely filed.
A notice of appeal from a decision of the tax court must be
filed within ninety days after the decision is entered. 26
U.S.C. § 7483 (2012); Spencer Med. Assocs. v. Comm’r,
155 F.3d
268, 269 (4th Cir. 1998). The timely filing of a notice of
appeal is a jurisdictional requirement. Bowles v. Russell,
551
U.S. 205, 213–14 (2007).
The tax court’s order was entered on the docket on August
26, 2015. The notice of appeal was filed on January 12, 2016.
Because taxpayers failed to file a timely notice of appeal, and
because this jurisdictional appeal period is not subject to
equitable tolling, see
Bowles, 551 U.S. at 214, we dismiss the
appeal. We deny the Appellants’ motion to compel and we
dispense with oral argument because the facts and legal
contentions are adequately presented in the materials before the
court and argument would not aid the decisional process.
DISMISSED
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