Allison v. Commissioner

1993 T.C. Memo. 35, 65 T.C.M. 1827, 1993 Tax Ct. Memo LEXIS 46
CourtUnited States Tax Court
DecidedFebruary 1, 1993
DocketDocket Nos. 23762-91, 23763-91
StatusUnpublished

This text of 1993 T.C. Memo. 35 (Allison v. Commissioner) 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
Allison v. Commissioner, 1993 T.C. Memo. 35, 65 T.C.M. 1827, 1993 Tax Ct. Memo LEXIS 46 (tax 1993).

Opinion

WILLIAM A. ALLISON AND KATHLEEN E. ALLISON, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Allison v. Commissioner
Docket Nos. 23762-91, 23763-91
United States Tax Court
T.C. Memo 1993-35; 1993 Tax Ct. Memo LEXIS 46; 65 T.C.M. (CCH) 1827;
February 1, 1993, Filed
*46 William A. Allison and Kathleen E. Allison, pro se.
For Respondent: John W. Duncan.
POWELL

POWELL

MEMORANDUM OPINION

POWELL, Special Trial Judge: These cases were assigned pursuant to section 7443A(b)(4). 1 The cases are before the Court on respondent's Motion for Judgment on the Pleadings in Docket No. 23762-91 and Motion for Partial Summary Judgment in Docket No. 23763-91. The facts may be summarized as follows.

By notices of deficiency dated July 25, 1991, respondent determined deficiencies and additions to tax as follows:

Additions to Tax
YearDeficiencySec. 6653(a)(1)
1982$ 4,160$ 208
1983$ 2,430$ 122
1984$ 2,745$ 137

For the taxable years 1982 through 1984 respondent also determined additions to tax under section 6653(a)(2) in the amounts of 50 percent of the interest due on the deficiencies.

Additions to Tax
YearDeficiencySec. 6653(a)(1)(A)Sec. 6661(a)
1986$ 22,912$ 1,146$ 5,728
1987$   692$    35-0- 

*47 For the taxable years 1986 and 1987 respondent also determined additions to tax under section 6653(a)(1)(B) in the amounts of 50 percent of the interest due on the deficiencies. Petitioners filed timely petitions with this Court. At the time the petitions were filed, petitioners resided in LeRoy, Illinois.

For the taxable year 1985, petitioners claimed a net operating loss in the amount of $ 161,230 and deducted part of that loss on their 1985 return. Subsequently they claimed net operating loss carrybacks for the taxable years 1982, 1983, and 1984 in the respective amounts of $ 25,035, $ 19,068, and $ 19,792. Petitioners also claimed a net operating loss carryover for the taxable year 1986 in the amount of $ 98,096.

The case at docket No. 23763-91 involves the taxable years 1982, 1983, 1984, and 1986. With regard to the case at docket No. 23763-91, the taxable years 1982, 1983, and 1984 involve only the disallowance of the net operating loss carrybacks and the additions to tax. The 1986 taxable year involves the disallowance of the net operating loss carryover, the inclusion in income of certain pension benefits and the disallowance of a deduction for depreciation. The *48 case at docket No. 23762-91 involves only the taxable year 1987. The parties have stipulated that no net operating loss carryover was claimed for that year and the notice of deficiency indicates that the only adjustment for that year was a disallowance of depreciation.

The parties have stipulated to all correspondence between respondent and petitioners. On January 28, 1987, the Service Center in Kansas City, Missouri, wrote to petitioners informing them that certain items of income reported on the 1984 return "do not agree with the amounts reported to us on information returns filed by the payors". On February 3, 1987, petitioner, William Allison, wrote back and did not dispute the adjustments. The letter continued:

Since the filing of my original return, I have filed an Amended Return for the year 1984. This resulted [sic] from a carryback from the year 1985. The loss was incurred in 1985 and carried back three years, to 1982, 1983 and 1984. Having apparently under reported [sic] my income originally for 1984, could this letter serve as a further amendment to take an additional carryback of $ 1,627.00 to the year 1984? Even after carrying back the 1985 excess loss for *49 three years, I still have a loss of over $ 100,000 to carry forward to 1986 and thereafter.

On March 4, 1988, the Service Center wrote a letter to petitioners that stated inter alia:

Information: You had a net operating loss of $ 145,934 in 1985 which you carried back to reduce your tax in 1982, 1983 and 1984. After application of your NOL to 1982 and 1983, you had $ 98,478 remaining to apply to 1984. After the adjustment shown in this report, $ 63,816 of your 1985 NOL remains available for carryover to 1986. If you have carried over your 1985 NOL in excess of this amount, you must file an amended return for 1986.

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Bluebook (online)
1993 T.C. Memo. 35, 65 T.C.M. 1827, 1993 Tax Ct. Memo LEXIS 46, Counsel Stack Legal Research, https://law.counselstack.com/opinion/allison-v-commissioner-tax-1993.