DocketNumber: No. 2897-03S
Judges: "Goldberg, Stanley J."
Filed Date: 6/9/2005
Status: Non-Precedential
Modified Date: 11/21/2020
*55 PURSUANT TO INTERNAL REVENUE CODE SECTION 7463(b), THIS OPINION MAY NOT BE TREATED AS PRECEDENT FOR ANY OTHER CASE.
GOLDBERG, Special Trial Judge: This case was heard pursuant to the provisions of
Respondent determined a deficiency in petitioners' Federal income tax of $ 12,120 and an accuracy-related penalty in the amount of $ 2,424 pursuant to
After a concession by petitioners, *56 for an accuracy-related penalty in the amount of $ 2,424 pursuant to
Background
Some of the facts have been stipulated and are so found. The stipulation of facts and the attached exhibits are incorporated herein by this reference. Petitioners resided in Chicago, Illinois, on the date the petition was filed in this case.
Petitioners timely filed a Federal joint income tax return for the taxable year 2000. During taxable year 2000, Donald J. Everhart (petitioner) was a contractor licensed by the city of Chicago. Petitioner was retained in that capacity by Ronald Muhammad (Mr. Muhammad) to perform construction services at rental property owned by Mr. Muhammad.
To do the necessary repairs, Mr. Muhammad obtained a home rehabilitation loan of $ 32,949.85 from Wells Fargo Home Mortgage, Inc. Petitioner was the general contractor of record on this home rehabilitation*57 loan. Wells Fargo Home Mortgage, Inc. issued the proceeds of Mr. Muhammad's home rehabilitation loan on August 28, 2000, and October 11, 2000, by checks jointly payable to both Mr. Muhammad and petitioner in the amounts of $ 12,261.67 and $ 20,688.18, respectively. Both Mr. Muhammad and petitioner endorsed these checks. Mr. Muhammad deposited the proceeds from these checks into his bank account at Shore Bank. Wells Fargo Home Mortgage, Inc. also issued to petitioner a Form 1099-Misc, Miscellaneous Income, for taxable year 2000 reflecting a distribution to petitioner of nonemployee compensation in the amount of $ 32,949.85.
At the beginning of their work relationship, petitioner and Mr. Muhammad did not enter into any contract outlining the scope of the work to be performed. Petitioner testified he and Mr. Muhammad entered into a contract later in taxable year 2000. However, no contract was offered into evidence at trial.
Petitioner received and negotiated the following checks totaling $ 24,312 drawn on Mr. Muhammad's Shore Bank account payable to petitioner:
Date | Check # | Memo | Amount |
09/03/2000 | 4656 | $ 100 | |
09/12/2000 | 4657 | Tax from Wells Fargo 12261 | 1,861 |
09/24/2000 | 4661 | Dumpster | 300 |
09/27/2000 | 4666 | Soffit for kitchen | 350 |
09/27/2000 | 4667 | Roofing material | 800 |
10/04/2000 | 4674 | Roof | 900 |
10/07/2000 | 4717 | Front roof shingles | 700 |
10/13/2000 | 4720 | Roofing rubbish closet drywall | 600 |
10/22/2000 | 4732 | Wiring intercom recess lighting… | 1,000 |
10/22/2000 | 4733 | 1st 1/2 payment for concrete for basement | 3,250 |
10/22/2000 | 4730 | Final payment for heating… | 350 |
10/22/2000 | 4731 | Copping chps + bricking of 1st floor… | 400 |
10/24/2000 | 4734 | Tax | 3,101 |
10/26/2000 | 4736 | Plumbing roofing labor roof bal… | 1,100 |
10/27/2000 | 4737 | Final payment concrete basement | 3,250 |
11/01/2000 | 4739 | Roofing labor material | 300 |
11/04/2000 | 4741 | 450 | |
11/08/2000 | 4743 | Insulation + drywall flashing | 1,700 |
11/16/2000 | 4750 | Drywall | 700 |
11/24/2000 | 4752 | Electrical + labor | 800 |
12/01/2000 | 4754 | Electrical drywall carpentry | 1,200 |
12/08/2000 | 4758 | Drywall installation | 700 |
12/22/2000 | 4763 | 400 | |
Total | $ 24,312 |
*58 Petitioner also maintained a checking account with Shore Bank during taxable year 2000. During the period from October 25, 2000, through December 31, 2000, petitioner made deposits in his Shore Bank account as follows:
Date | Amount |
10/25/2000 | $ 500 |
10/27/2000 | 300 |
11/01/2000 | 100 |
11/06/2000 | 100 |
11/08/2000 | 1,600 |
11/16/2000 | 400 |
11/24/2000 | 50 |
12/01/2000 | 125 |
12/08/2000 | 375 |
12/22/2000 | 100 |
Total | $ 3,650 |
During the period from October 25, 2000, through December 31, 2000, petitioner wrote checks totaling $ 3,509 drawn on his Shore Bank account as follows:
Date | Check # | Description | Amount |
10/25/2000 | 95 | Payable to: Deborah Everhart | $ 200 |
Memo: Roof material | |||
10/26/2000 | 96 | Payable to: Cash | 100 |
Memo: Material plumb | |||
10/28/2000 | 97 | Payable to: Cash | 100 |
Memo: Material | |||
10/30/2000 | 99 | Payable to: Cash | 100 |
Memo: Expense | |||
10/30/2000 | 100 | Payable to: Cash | 50 |
Memo: Material | |||
11/01/2000 | 98 | Payable to: Cash | 60 |
Memo: Labor | |||
11/03/2000 | Payable to: Cash | 70 | |
11/06/2000 | 102 | Payable to: Cash | 50 |
Memo: Expense | |||
11/07/2000 | 101 | Payable to: Capital one | 50 |
Memo: Collections | |||
11/07/2000 | 103 | Payable to: Cash | 50 |
Memo: Expense | |||
11/08/2000 | 104 | Payable to: Deborah Everhart | 130 |
Memo: McKey + Pogue | |||
11/08/2000 | 106 | Payable to: Julius Jones | 35 |
11/09/2000 | 107 | Payable to: Kozmiwski | 24 |
Memo: Apples | |||
11/09/2000 | 108 | Payable to: Cash | 800 |
Memo: Material | |||
11/10/2000 | 109 | Payable to: Cash | 100 |
11/12/2000 | 110 | Payable to: Deborah Everhart | 100 |
Memo: Labor 4343 | |||
11/13/2000 | 112 | Payable to: Cash | 100 |
Memo: Expense | |||
11/13/2000 | 113 | Payable to: Cash | 100 |
Memo: Expense | |||
11/14/2000 | 114 | Payable to: Cash | 100 |
Memo: Expense | |||
11/15/2000 | 115 | Payable to: Cash | 50 |
Memo: Expense | |||
11/16/2000 | 116 | Payable to: Cash | 75 |
11/17/2000 | 117 | Payable to: Cash | 300 |
11/20/2000 | 118 | Payable to: Cash | 60 |
11/21/2000 | 119 | Payable to: Cash | 30 |
11/21/2000 | 121 | Payable to: Cash | 30 |
11/28/2000 | 122 | Payable to: Cash | 30 |
Memo: Expense | |||
12/04/2000 | 124 | Payable to: Cash | 30 |
12/06/2000 | 125 | Payable to: Cash | 40 |
Memo: Expense | |||
12/07/2000 | 126 | Payable to: Cash | 30 |
12/09/2000 | 127 | Payable to: Deborah Y. Everhart | 300 |
Memo: Donald Everhart loan | |||
12/12/2000 | 128 | Payable to: Cash | 50 |
12/12/2000 | 129 | Payable to: Cash | 25 |
12/12/2000 | 131 | Payable to: Cash | 30 |
12/18/2000 | 132 | Payable to: Cash | 10 |
12/26/2000 | 133 | Payable to: Cash | 100 |
Total | $ 3,509 |
*59 Petitioner also signed a document entitled "Final Waiver of Lien", which was dated August 28, 2000. This document acknowledged petitioner's receipt of $ 28,143.43 for labor and material furnished for the renovation of Mr. Muhammad's rental property.
By notice of deficiency, respondent determined that petitioners failed to report on their Federal income tax return for the taxable year 2000 income earned by petitioner, received from Mr. Muhammad, for contracting work in the amount of $ 30,468.
Discussion
In general, the Commissioner's determination set forth in a notice of deficiency is presumed correct, and the taxpayer bears the burden*60 of showing that the determination is in error.
1. Unreported Income
As stated previously, respondent determined that petitioners failed to report income in tax year 2000 in the amount of $ 30,468. However, petitioner argues that such payments were made pursuant to a contractor relationship he had with Mr. Muhammad, and, therefore, petitioner claims he was merely a conduit between Mr. Muhammad and the subcontractors that petitioner hired to perform the work.
However, pursuant to
Petitioner has the burden of proving that he was engaged in a trade or business and, as stated previously, that the deposits made to his account, checks cashed, and checks written on his account, were not includable in his 2000 income as determined by respondent.
Petitioner does not deny that he received the payments from Mr. Muhammad in the amounts determined by respondent. In any event, substantial evidence was presented which leads us to the conclusion that petitioner received the amounts calculated by respondent. Petitioner asserts that such*63 payments were not income to him but advances made by Mr. Muhammad to pay subcontractors and purchase materials for the renovation of Mr. Muhammad's rental property. Petitioner also asserts that he received the payments as agent for Mr. Muhammad.
Petitioner contends that he functioned merely as a conduit through which Mr. Muhammad purchased labor and materials for the renovation project, with the result that the payments received from Mr. Muhammad are not taxable to him. Petitioner does not clearly explain the legal basis for this position, and he cites no cases in support thereof.
We would agree that a taxpayer need not treat as income moneys which he did not receive under a claim of right, which were not his to keep, and which he was required to transmit to someone else as a mere conduit. See
Assuming petitioner was correct in his conduit or agency argument, he would still have to substantiate that the deposits made to his account, checks cashed, and checks written on his account, were not includable in his 2000 income.
However, the record as a whole in the present case leads to the inescapable conclusion that petitioner was a self-employed contractor licensed by the city of Chicago during taxable year 2000, and that petitioner was the general contractor of record on the Wells Fargo Home Mortgage, Inc. rehabilitation loan. Therefore, it is unnecessary to consider petitioner's "conduit" or "agency" argument.
Deductions are a matter of legislative grace, and the taxpayer bears the burden of proving that he is entitled to any deduction claimed.
It appears from the testimony presented at trial that petitioner and Mr. Muhammad had a "loose" work relationship in which Mr. Muhammad would supply sums of money to petitioner in the form of cash and checks. Petitioner would then use these moneys to pay off expenses incurred in the renovation of Mr. Muhammad's rental property; any surplus or net profit was used to pay petitioner's personal debts. Both petitioner and Mr. Muhammad testified that they had receipts which could substantiate the expenditures of the renovation project; however, such receipts were lost or stolen. Neither petitioner nor Mr. Muhammad attempted to contact third parties to receive duplicate receipts, and neither individual attempted to reconstruct a list of such expenditures.
At trial, petitioner elicited testimony from Robert Blacher (Mr. Blacher), who was a*67 subcontractor who did concrete work in the renovation of Mr. Muhammad's rental property. Mr. Blacher testified that he received payment of $ 6,500 for his services from petitioner. Petitioner also elicited testimony from Rafiq Ahmad (Mr. Ahmad) who did drywall work in the renovation project. Mr. Ahmad testified that he received payment of approximately $ 700 for his services from petitioner.
Petitioner offered into evidence copies of the aforementioned checks and applicable bank statements. Petitioner also testified that these payments were made for the renovation project. Petitioner also testified that the proceeds from these payments were used to pay for the labor and materials incurred in the renovation project.
Based upon all of the facts and circumstances of this case, we find that petitioner's general contracting business had gross income of $ 32,949 in taxable year 2000. We further find that petitioner has substantiated business expense deductions relating to his general contracting business of $ 18,400 *68 2. Accuracy-Related Penalty
As stated previously, respondent determined that petitioners are liable for an accuracy-related penalty pursuant to
It is clear that petitioner was negligent*70 with respect to the $ 12,068 that was received by him through his general contracting business. Petitioner did not keep adequate books and records, or otherwise substantiate the $ 12,068, as required by the Internal Revenue Code. Thus, the amount of the accuracy-related penalty applicable to petitioners' unreported income for taxable year 2000 requires computation from the foregoing.
Reviewed and adopted as the report of the Small Tax Case Division.
To reflect petitioners' concessions and our resolution of the disputed matters,
Decision will be entered under Rule 155.
1. Petitioners conceded that they failed to include in gross income for taxable year 2000, $ 28 of interest income.↩
2. This amount was determined by the Form 1099-Misc, Miscellaneous Income, from Wells Fargo Home Mortgage, Inc., which reported nonemployee compensation of $ 32,949, less self employment tax deduction of $ 2,481.↩
3. It is possible that petitioner has incurred business expense deductions in excess of this amount; however, due to petitioner's lack of clear records, petitioner is unable to substantiate further deductions, and we are unable to estimate any further deductions under the rule in
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