U.S. Court of Appeals for the Ninth Circuit, 1985

James K. Lefebvre v. Commissioner of Internal Revenue

James K. Lefebvre v. Commissioner of Internal Revenue
U.S. Court of Appeals for the Ninth Circuit · Decided April 24, 1985 · Hug, Boochever, Thompson
758 F.2d 1340; 55 A.F.T.R.2d (RIA) 1422; 1985 U.S. App. LEXIS 30497 (Federal Reporter, Second Series)

James K. Lefebvre v. Commissioner of Internal Revenue

Opinion

PER CURIAM:

Lefebvre appeals the Tax Court’s decision that he consented to an extension of the statute of limitations on his 1971 tax *1341 return. Lefebvre contends that the power of attorney filed on his behalf with the Internal Revenue Service (IRS) was invalid because it did not comply with IRS regulations. In the alternative, he argues that his attorney’s signature on one of the actual consents filed was not genuine. For the reasons given by the Tax Court in its opinion, T.C.M. 1984-202, 47 T.C.M. (CCH) 1572, we hold that noncompliance with the IRS regulations did not invalidate the power of attorney, and that Lefebvre failed to show that his attorney’s signature was not genuine. The decision of the Tax Court is AFFIRMED.

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