Bhattacharyya v. Comm'r

2007 T.C. Memo. 19, 93 T.C.M. 711, 2007 Tax Ct. Memo LEXIS 19
CourtUnited States Tax Court
DecidedJanuary 30, 2007
DocketNo. 15024-04
StatusUnpublished
Cited by15 cases

This text of 2007 T.C. Memo. 19 (Bhattacharyya v. Comm'r) 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
Bhattacharyya v. Comm'r, 2007 T.C. Memo. 19, 93 T.C.M. 711, 2007 Tax Ct. Memo LEXIS 19 (tax 2007).

Opinion

BIDYUT K. BHATTACHARYYA AND DIANA T. BHATTACHARYYA, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Bhattacharyya v. Comm'r
No. 15024-04
United States Tax Court
T.C. Memo 2007-19; 2007 Tax Ct. Memo LEXIS 19; 93 T.C.M. (CCH) 711;
January 30, 2007, Filed
Bhattacharyya v. Commissioner, 180 Fed. Appx. 763, 2006 U.S. App. LEXIS 19243 (9th Cir. Or., 2006)
*19 Bidyut K. Bhattacharyya and Diana T. Bhattacharyya, pro sese.
Wesley F. McNamara, for respondent.
Haines, Harry A.

Harry A. Haines

MEMORANDUM FINDINGS OF FACT AND OPINION

HAINES, Judge: Respondent determined a deficiency in petitioners' 2000 Federal income tax of $ 314,372 and an addition to tax under section 6651(a)(1) of $ 38,837. 1*20 After concessions, 2 the issues for decision are: (1) Whether respondent's and petitioners' motions to conform pleadings to the evidence should be granted; (2) whether petitioners received but failed to report certain items of income; (3) whether petitioners are liable for a 10-percent additional tax under section 72(t) on early distributions from qualified retirement plans; (4) whether petitioners are entitled to certain itemized deductions; (5) whether petitioners are liable for any alternative minimum tax; and (6) whether petitioners are liable for an addition to tax under section 6651(a)(1).

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts, supplemental stipulation of facts, and the second supplemental stipulation of facts and attached exhibits are incorporated herein by this reference. At the time they filed their petition, petitioners resided in Beaverton, Oregon.

Bidyut K. Bhattacharyya (petitioner) was born on October 8, 1955, and Diana T. Bhattacharyya (Mrs. Bhattacharyya) was born on January 19, 1960. From July 16, 1984, until October 21, 2000, petitioner was employed by Intel Corporation (Intel).

A. Income From Salary, Bonuses, Stock Options, and Other Sources

During 2000, petitioner received compensation from Intel in the form of a salary, bonuses, and through the exercise of nonqualified stock options. On January 11, 2000, petitioner exercised a nonqualified stock option granted by Intel to purchase 800 shares*21 of stock at $ 8.391 per share. The market price on January 11, 2000, was $ 92.00 per share, resulting in a realized gain of $ 66,887. On April 17, 2000, petitioner exercised a nonqualified stock option granted by Intel to purchase 5,000 shares of stock at $ 8.391 per share. The market price on April 17, 2000, was $ 116.4062 per share, resulting in a realized gain of $ 540,076. Petitioner exercised the nonqualified stock options through an investment brokerage account with Merrill Lynch (Merrill Lynch brokerage account).

Intel issued petitioner a Form W-2, Wage and Tax Statement, for 2000 (the Intel Form W-2), which reported total wages, tips, and other compensation of $ 746,191. Of that amount, $ 606,963 represented the gain realized by petitioner on the exercise of the nonqualified stock options.

During 2000, petitioners received a State income tax refund of $ 34,500 for State income taxes paid with respect to their 1999 tax year.

B. Petitioner's Intel Retirement Plans

At the time he terminated his employment, petitioner maintained three Intel retirement plans, Plan 15104, Plan 15105, and Plan 15106.

Plan 15104 was a nonqualified deferred compensation plan called the Sheltered*22 Employee Retirement Plan Plus (or SERP+) and was administered by Fidelity Investments Institutional Operations Company (Fidelity Institutional) on behalf of Intel. On December 22, 2000, petitioner received $ 285,603 from Intel, representing the full distribution of Plan 15104 in the gross amount of $ 372,850 less Federal and State withholding taxes. Fidelity Institutional issued petitioner a Form W-2 with respect to Plan 15104 for 2000 (the Plan 15104 Form W-2). The parties stipulated that the Plan 15104 Form W-2 accurately reflected the distribution amount, withholding taxes paid, that petitioner made no employee contributions, and that no portion of the distribution was rolled over into another account.

Plan 15105 was a qualified retirement plan called the Intel Corporation 401(k) Savings Plan and was administered by Fidelity Institutional on behalf of Intel. Petitioner borrowed money from Plan 15105 and made payments through payroll withholding. Petitioner ceased making payments after he terminated his employment, and the loan was considered in default. The loan was repaid in 2000 by an offsetting distribution from Plan 15105 of $ 15,552. During October or November of 2000, petitioner*23 made a direct rollover of $ 286,390 from Plan 15105 into his Fidelity InvestmentsIRA Rollover Account (FidelityIRA). Fidelity Institutional issued petitioner a Form 1099- R, Distributions From Pensions, Annuities, Retirement or Profit- Sharing Plans, IRAs, Insurance Contracts, etc., with respect to Plan 15105 for 2000 (the Plan 15105 Form 1099-R).

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Bluebook (online)
2007 T.C. Memo. 19, 93 T.C.M. 711, 2007 Tax Ct. Memo LEXIS 19, Counsel Stack Legal Research, https://law.counselstack.com/opinion/bhattacharyya-v-commr-tax-2007.