Sixth Circuit Realigns on Tax Court Jurisdiction and Equitable Tolling, Becomes Third Circuit to Hold 90-Day Deadline is Not Jurisdictional
The third time was not a charm for the IRS and the Tax Court regarding the question of whether the 90-day deadline to file a Tax Court petition to dispute a Notice of Deficiency is a jurisdictional requirement. The United States Court of Appeals for the Sixth Circuit recently issued a significant decision in Naysha Y. Oquendo v. Commissioner of Internal Revenue, reversing the Tax Court’s dismissal of a petition for redetermination due to untimely filing.
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