JOYCE E. BEERY v. COMMISSIONER OF INTERNAL REVENUE
No. 98-9006
United States Court of Appeals, Tenth Circuit
December 10, 1998
Appeal from U.S. Tax Court (T.C. No. 8802-96)
Before BRORBY, BRISCOE, and LUCERO, Circuit Judges.
ORDER AND JUDGMENT*
Petitioner Joyce E. Beery, proceeding pro se, seeks review of a decision by the Tax Court against her for income tax deficiencies in taxable years 1992, 1993, and 1994.1 Our jurisdiction over this appeal arises from
Petitioner and her husband commenced this action in 1996, challenging respondent‘s notice of deficiencies for taxable years 1992 through 1994. The Tax Court granted respondent‘s motion for summary judgment on liability for the deficiencies based on the Tax Court‘s ruling against the Beerys in an earlier action, but set for trial the accuracy-related penalties assessed against the Beerys. At trial, Mr. Beery filed a motion for reconsideration from the court‘s summary judgment ruling. The Beerys prevailed on the penalties, but the Tax Court denied the motion for reconsideration. Respondent subsequently notified the Tax Court that Mr. Beery had been in Chapter 7 bankruptcy during the entire pendency of the proceedings, and moved for his dismissal based on a lack of jurisdiction resulting from the automatic stay. The court agreed that it lacked jurisdiction and granted the motion, but noted that the summary judgment ruling was valid as against Mrs. Beery.
ENTERED FOR THE COURT
Carlos F. Lucero
Circuit Judge
