Doll v. CIR, 358 F.2d 713 (3rd Cir. 1966)
United States Court of Appeals Third Circuit.
Jacob A. DOLL and Esther Doll, Petitioners,
v.
COMMISSIONER OF INTERNAL REVENUE, Respondent.
No. 15669.
Decided April 12, 1966.
Before SMITH and FREEDMAN, Circuit Judges,
and MILLER, District Judge.
PER CURIAM.
This case is before the Court on a petition
to review a decision of the Tax Court. The question before us is whether
the Tax Court erred in its determination that an assessment of a tax deficiency
for the taxable year 1954 was not barred by the statute of limitations.
26 U.S.C.A. 6501(a). We are of the opinion that the case is governed by Lucas
v. Pilliod Lumber Co., 281 U.S. 245, 50 S.Ct. 297, 74 L.Ed. 829 (1930). It was therein held
that the statute of limitations did not bar the assessment of a tax deficiency
where, as in the instant case, the return failed to meet the requirements of
the statute. The return filed by the petitioners in the case before us
was not signed by either of them.
The judgment of the Tax Court will be
affirmed on its opinion.