Alberto Delgado & Virginia Delgado

CourtUnited States Tax Court
DecidedMarch 13, 2023
Docket13919-19
StatusUnpublished

This text of Alberto Delgado & Virginia Delgado (Alberto Delgado & Virginia Delgado) is published on Counsel Stack Legal Research, covering United States Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Alberto Delgado & Virginia Delgado, (tax 2023).

Opinion

United States Tax Court

T.C. Summary Opinion 2023-8

ALBERTO DELGADO AND VIRGINIA DELGADO, Petitioners

v.

COMMISSIONER OF INTERNAL REVENUE, Respondent

—————

Docket No. 13919-19S. Filed March 13, 2023.

Oscar Javier Ornelas, for petitioners.

David Sohn and Sheila R. Pattison, for respondent.

SUMMARY OPINION

HALPERN, Judge: This case was heard pursuant to the provisions of section 7463 of the Internal Revenue Code in effect when the petition was filed. 1 Pursuant to section 7463(b), the decision to be entered is not reviewable by any other court, and this opinion shall not be treated as precedent for any other case.

Respondent issued a Statutory Notice of Deficiency (Statutory Notice) to petitioners determining a deficiency in, and an accuracy- related penalty with respect to, their 2016 income tax of $5,795 and $1,159, respectively. Petitioners assigned error to the determinations of both the deficiency in tax and the penalty. Respondent has conceded the

1 Unless otherwise indicated, all statutory references are to the Internal Revenue Code (Code), Title 26 U.S.C., in effect at all relevant times, and all Rule references are to the Tax Court Rules of Practice and Procedure. All dollar amounts have been rounded to the nearest dollar.

Served 03/13/23 2

penalty, which concession we accept. For the reasons set forth below, we sustain the deficiency in tax.

Background

The parties have filed a First Stipulation of Facts stipulating certain facts and the authenticity of certain documents. The facts stipulated are found, and the documents stipulated are accepted as authentic. The parties have filed a Supplemental Stipulation of Facts stipulating one additional exhibit, Exhibit 7–R, which comprises a written declaration (Shanahan Declaration) of Kaaren Shanahan, identified as an employee of respondent’s, and a “Note Transcript” from the Internal Revenue Service (IRS) Automated Under Reporter (AUR) program. For reasons discussed infra note 8, we do not receive into evidence either the Shanahan Declaration or the Note Transcript.

Neither party called any witnesses or proffered documents beyond those stipulated. We need to find few facts beyond those stipulated. We set forth those facts pertinent to our discussion.

Petitioners’ 2016 Return

Petitioners timely filed IRS Form 1040, U.S. Individual Income Tax Return, for their 2016 (calendar) tax year (2016 Return).

Petitioner husband (Mr. Delgado) worked for Walgreen Co. (Walgreen) in 2016. For 2016, Mr. Delgado received two tax information returns from Walgreen. One, an IRS Form W–2, Wage and Tax Statement, reported $8,437 of wages paid to him, and the second, an IRS Form 1099–MISC, Miscellaneous Income, reported $49,062 of “other income” paid to him. Walgreen also reported to respondent the information on those two information returns. Petitioners included on the 2016 Return the $8,437 reported to them on the Form W–2 but not the $49,062 reported to them on the Form 1099–MISC.

Petitioners claimed education credits of $2,000 and a child tax credit of $1,000 on the 2016 Return.

Respondent’s AUR Program

May CP 2000 Notice

The 2016 Return drew notice under the AUR program, and, on May 7, 2018, respondent sent petitioners a Notice CP 2000 (May CP 3

2000 Notice), which is a notice sent to a taxpayer when the taxpayer’s return information does not match data reported to the IRS by employers, banks, and other third parties. Table 1 in the May CP 2000 Notice, titled “Changes to your 2016 Return,” shows the following among other things.

Table 1

Changes to your 2016 Return

Your income Shown on 2016 As corrected by IRS Difference and deductions Return

Other income $0 $49,062 $49,062

Change to taxable — — 49,062 income

Your tax Shown on 2016 As corrected by IRS Difference computations Return

Taxable income $41,578 $90,640 $49,062

Tax 5,309 14,199 8,890

Education credits 2,000 0 −2,000

Child tax credit 1,000 200 −800

Total tax — — 11,690

Tax you owe — — $11,690

Table 2, under the heading “Explanation of changes to your 2016 Form 1040,” shows the following. 4

Table 2

Other Income

Received Address Account Shown on Reported Difference from information Return to IRS by others

WALGREEN ... SSN: . . . $0 $49,062 $49,062 CO. Form 1099– MISC

Following Table 2 is a description of the reason why a portion of the child tax credit was disallowed (the credit was later allowed in full) and the reason why the education credits were disallowed (i.e., for lack of substantiation).

Petitioners were advised, if they did not agree with the proposed changes, to respond to the notice with a signed statement explaining their disagreement and to include any documentation that would support their claim. They were given until June 6, 2018, to respond or respondent would send them a Statutory Notice.

December CP 2000 Notice

On December 24, 2018, respondent sent petitioners a second Notice CP 2000 (December CP 2000 Notice), which began by thanking petitioners for their response to the May CP 2000 Notice and continued: “Based on your response, we’ve determined you owe $7,527 (including interest), which you will need to pay by January 23, 2019.” 2 The December CP 2000 Notice contains Table 3, similar to Table 1 but with some revised entries, as follows.

2 The $7,527 includes a deficiency of $5,795 as well as a substantial

understatement penalty of $1,159 and interest of $573. 5

Table 3

Your income Shown on Return As corrected by Difference and deductions IRS

Other income $0 $25,312 $25,312

Change to — — 25,312 taxable income

Your tax Shown on Return As corrected by Difference computations IRS

Taxable income $41,578 $66,890 $25,312

Tax 5,309 9,104 3,795

Child tax credit 1,000 1,000 0

Total tax — — 5,795

Tax you owe — — $5,795

Table 4, under the heading “Explanation of changes to your 2016 Form 1040,” shows the following.

Table 4

Received Address Account Shown on Reported to Difference from information Return IRS by others

WALGREEN ... SSN: . . . $49,062 $49,062 $0 CO. Form 1099–MISC 6

Following Table 4 is the same description as in the May CP 2000 Notice of the reason the education credits were disallowed (lack of substantiation).

Finally, like the May CP 2000 Notice, the December CP 2000 Notice invited petitioners to respond by January 23, 2019, or respondent would send them a Statutory Notice.

Statutory Notice

Respondent mailed the Statutory Notice to petitioners on April 22, 2019. The Statutory Notice is addressed to petitioners and consists of seven pages. On each page but the last (a waiver for petitioners’ use if they decide to concede the deficiency and the penalty) appears the Social Security number of one of them (we assume petitioner husband because his name appears first on the Statutory Notice). All the pages reference the 2016 tax year. Immediately under petitioners’ address on the first page is the following banner, in bold print: “Notice of Deficiency[,] Proposed increase in tax and notice of your right to challenge.” Table 5 follows.

Table 5

Summary of proposed changes

Increase in tax (deficiency) $5,795

Substantial tax understatement penalty 1,159

The first substantial paragraph of text on the first page is as follows.

We have determined there is a deficiency (increase) in your 2016 income tax based on information we received from third parties (such as employers or financial institutions) that doesn’t match the information you reported on your tax return. See below for an explanation of how this increase was calculated.

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