DocketNumber: Docket No. 17042-12.
Citation Numbers: 109 T.C.M. 1034, 2015 Tax Ct. Memo LEXIS 6, 2015 T.C. Memo. 5
Judges: COLVIN
Filed Date: 1/7/2015
Status: Non-Precedential
Modified Date: 4/17/2021
Decision will be entered under
COLVIN,
Computershare sent a letter dated February 28, 2014, to respondent's counsel's office stating that a Form 1099-DIV had been issued to petitioner-husband for 2009 reporting the payment of the disputed dividends from BNSF and *7 attaching a copy of a Form 1099-DIV properly addressed to petitioners' home address. Respondent sent a copy of the February 28, 2014, letter to petitioners on April 16, 2014. Promptly thereafter, petitioner husband called the phone number provided in the February 28, 2014, letter and discovered there was only a recorded message and no opportunity to inquire further about the statements in the letter.
Petitioners filed a joint Form 1040, U.S. Individual Income Tax Return, for tax year 2009. On Schedule B, Interest and Ordinary Dividends, attached to their 2009 tax return, petitioners reported $470 of dividend income (the equivalent of one quarterly dividend payment) from BNSF.
Taxpayers generally bear the burden of proving that the Commissioner's determination is incorrect. As with many other cases decided by this Court, Respondent relies on the February 28, 2014, letter from Computerserve, which states that the disputed dividend payments had been made and which *9 includes a copy of a Form 1099-DIV apparently*9 sent to petitioners' home address reporting those payments. Petitioner husband testified that petitioners did not receive the disputed dividend payments in 2009 or a Form 1099-DIV reporting those payments and that he does not recall having negotiated any checks.See
1. All amounts are rounded to the nearest dollar.↩
2. Unless otherwise indicated, section references are to the Internal Revenue Code in effect for the year in issue and Rule references are to the Tax Court Rules of Practice and Procedure.↩
3. Petitioners do not dispute that they owned 1,176 shares of BNSF stock in 2009 or that BNSF issued quarterly dividends of $470 each, but dispute that they received more than one of those payments.↩
4. Attached to petitioners' answering brief are several documents that petitioners contend establish that they never negotiated the BNSF dividend checks. These documents were not offered into evidence. Documents attached to a party's brief are not evidence.
Guilio J. Conti and Edith Conti v. Commissioner of Internal ... , 39 F.3d 658 ( 1994 )
Tokarski v. Commissioner , 87 T.C. 74 ( 1986 )
C. Louis Wood and Hallie D. Wood v. Commissioner of ... , 338 F.2d 602 ( 1964 )
Howard G. Pinder, Sr., and Howard G. Pinder, Jr. v. United ... , 330 F.2d 119 ( 1964 )
Quock Ting v. United States , 11 S. Ct. 733 ( 1891 )
Welch v. Helvering , 54 S. Ct. 8 ( 1933 )
Wood v. Commissioner , 41 T.C. 593 ( 1964 )
Concord Consumers Hous. Coop. v. Commissioner , 89 T.C. 105 ( 1987 )