Bennett v. Comm'r

2007 T.C. Memo. 355, 2007 Tax Ct. Memo LEXIS 369
United States Tax Court·Decided December 3, 2007·No. No. 22010-05·Unpublished

Opinion

WILLIAM AND CATHY A. BENNETT, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Bennett v. Comm'r
No. 22010-05
United States Tax Court
T.C. Memo 2007-355; 2007 Tax Ct. Memo LEXIS 369;
December 3, 2007, Filed
*369
Jeffrey D. Moffatt, for petitioners.
Valerie L. Makarewicz, for respondent.
Swift, Stephen J.

STEPHEN J. SWIFT

MEMORANDUM OPINION

SWIFT, Judge: Respondent determined a deficiency of $ 1,620 in petitioner William Bennett's 2002 self-employment taxes.

Unless otherwise indicated, all section references are to the Internal Revenue Code in effect at all relevant times, and all Rule references are to the Tax Court Rules of Practice and Procedure.

All references to petitioner in the singular are to petitioner William Bennett.

The issue for decision is whether petitioner timely filed a proper ministerial exemption under section 1402(e) from self-employment taxes on net income petitioner received in 2002 as a minister.

BACKGROUND

Some of the facts have been stipulated and are so found.

At the time the petition was filed, petitioners resided in Lake Hughes, California.

On June 1, 1996, petitioner was commissioned and licensed as a senior pastor of the Neenach Bible Church.

Regarding petitioners' 1997 through 2002 Federal income tax returns and self-employment tax liabilities, reflected in the table below are the dates on which petitioners' joint Federal income tax returns were filed, the net income petitioner *370received each year as a minister of the Neenach Bible Church, and the self-employment taxes petitioner reported and paid in relation thereto. Also reflected in the table below are whether petitioner, with each Federal income tax return, filed a Form 4361, Application for Exemption From Self-Employment Tax for Use by Ministers, Members of Religious Orders and Christian Science Practitioners, or a letter to respondent in lieu of a Form 4361, and whether the Form 4361 or the letter included statements certifying that petitioner was opposed to acceptance of public retirement insurance such as Social Security and that petitioner had informed the Neenach Bible Church of his opposition to such public retirement insurance. Lastly, reflected in the table below is an indication of whether respondent acted on petitioner's Form 4361 or letter.

Petitioners' Filed Tax Returns
FilingMinisterialSE Taxes Related
YearDateIncomePaid4361Letter
19976/12/20001*371 > $ 400-0-YesNo
19984/15/1999  15,263$ 4,191NoYes
19994/15/2000 14,400-0-YesYes
2000Not filed ----
20014/15/2002 10,727-0-YesYes
20024/15/2003 10,461-0-YesNo

Included Statements
OpposingInformingRespondent's
YearInsuranceChurchAction
1997YesYes

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Bennett v. Comm'r, 2007 T.C. Memo. 355, 2007 Tax Ct. Memo LEXIS 369 (tax 2007).

2007 T.C. Memo. 355 (Bennett v. Comm'r) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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