1959 U.S. Tax Ct. LEXIS 44">*44 Jurisdiction -- Filing Date of Petition -- Postmark --
33 T.C. 214">*214 OPINION.
The Commissioner moved to dismiss this case for lack of jurisdiction. The parties were given an opportunity to be heard on 1959 U.S. Tax Ct. LEXIS 44">*45 that motion but there was no appearance for the petitioners.
The notice of deficiency was mailed to the taxpayers by registered mail on January 29, 1959, to their last known address, which was in Miami, Florida. The envelope in which the petition was mailed to the Court was mailed from Habana, Cuba. It bears a Cuban postal cancellation stamp with the date June 29, 1959, but no other postmark. The petition was received by the Tax Court and filed on June 30, 1959, which was a Tuesday and not a holiday in the District of Columbia. That was 152 days after the mailing of the notice of deficiency. The 150th day was June 28, which was a Sunday.
The Commissioner's contention is correct. The petition was not delivered to the Tax Court within the prescribed period of 150 days but was delivered on the 152d day following the 151st day which was not a holiday in the District of Columbia. There is no "United States postmark stamped on the cover" in which the petition was mailed. The mailing of the petition to the Tax Court does not come within any exception to the prescribed period provided in