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B-266245 1 (1996-10-24)

handle is hein.gao/gaocrptaduv0001 and id is 1 raw text is: 




GAO             United States
                General Accounting Office
                Washington, D.C. 20548

                Office of the General Counsel




                B-266245


                October 24, 1996



                Mr. Edwin A. Verburg
                Deputy Chief Financial Officer
                Department of the Treasury

                Dear Mr. Verburg:

                This responds to your letter of September 15, 1995, requesting relief from liability
                for Ms. Dianna Palmer and Mr. Bob Hughes of the Brookhaven Service Center of
                the Internal Revenue Service (IRS) for an improper payment in the amount of
                $5,137. As explained below, we are unable to grant relief to Ms. Palmer without
                additional information from you. Therefore, we are tolling the running of the
                statute of limitations in this matter to allow you adequate time to submit the
                necessary information. 31 U.S.C. § 3526(g). The matter of Mr. Hughes's relief is not
                within our jurisdiction, and we are returning that issue for your disposition.

                According to your letter, the loss here occurred as a result of the issuance of an
                erroneous tax refund check. You identify Dianna Palmer as the cognizant certifying
                officer. This Office is authorized to relieve a certifying officer from liability when
                we find that (1) the certification was based on official records and the certifying
                officer did not know, and by reasonable diligence and inquiry could not have
                discovered, the correct information; or (2) in the context of payments under
                contracts, the contractual obligation was incurred in good faith, no law specifically
                prohibited the payment, and the United States received value for the payment.
                31 U.S.C. § 3528(b). In a situation such as this, involving an erroneous tax refund,
                our consideration would most likely focus on section 3528(b)(1) rather than (b)(2).
                As you can see, such consideration is necessarily fact-based. Your September 15
                submission to us did not include a statement of the facts that resulted in the
                erroneous refund. In order for us to make the determination required by section
                3528(b)(1), we will also need to examine copies of the records that Ms. Palmer
                referred to in certifying this refund. It appears from the record you submitted that
                the refund at issue here was found to be erroneous on November 29, 1993.
                Consequently, the statute of limitations for granting relief to Ms. Palmer expires on
                November 29, 1996. In order to allow you adequate time to compile and submit the


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