Black v. Comm'r

2014 T.C. Memo. 27, 107 T.C.M. 1147, 2014 Tax Ct. Memo LEXIS 28
CourtUnited States Tax Court
DecidedFebruary 12, 2014
DocketDocket No. 6406-12
StatusUnpublished

This text of 2014 T.C. Memo. 27 (Black 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
Black v. Comm'r, 2014 T.C. Memo. 27, 107 T.C.M. 1147, 2014 Tax Ct. Memo LEXIS 28 (tax 2014).

Opinion

BOYD J. BLACK AND JANICE C. BLACK, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Black v. Comm'r
Docket No. 6406-12
United States Tax Court
T.C. Memo 2014-27; 2014 Tax Ct. Memo LEXIS 28; 107 T.C.M. (CCH) 1147;
February 12, 2014, Filed
*28

Decision will be entered for respondent.

P-H borrowed against a life insurance policy but failed to repay the loans. The policy was terminated, and the loans were satisfied by policy proceeds and extinguished. R contends that the amount realized upon termination of the policy includes both loan principal and capitalized interest; Ps contend that the amount realized includes only loan principal.

Held: Capitalized interest that accrued on P-H's loans against his life insurance policy is includible in determining the gross distribution and the taxable amount arising from the termination of the policy.

Held, further, Ps are liable for the I.R.C. sec. 6662(a) accuracy-related penalty.

Boyd J. Black, Pro se.
Janice C. Black, Pro se.
S. Mark Barnes, for respondent.
ARMEN, Special Trial Judge.

ARMEN
*28 MEMORANDUM OPINION

ARMEN, Special Trial Judge: Respondent determined a deficiency in petitioners' 2009 Federal income tax of $30,571 and an accuracy-related penalty of $6,114 under section 6662(a) and (d) on the basis of a substantial understatement of income tax.1*29

After concessions by petitioners,2 the issues for decision are as follows:

(1) Whether capitalized interest in respect of policy loans is part of the amount received by petitioners upon termination of a life insurance contract. We hold that it is; and

(2) whether petitioners are liable for the accuracy-related penalty under section 6662(a) and (d). We hold that they are.

*29 Background

This case was submitted fully stipulated under *30 Rule 122. We incorporate by reference the parties' stipulation of facts and accompanying exhibits.

Petitioners resided in the State of Utah at the time that the petition was filed.

In 2009 petitioner Boyd J. Black was employed as an attorney. Petitioner Janice C. Black was a homemaker who also had a modest proprietorship involving crafts and sewing that reported its income on a Schedule C, Profit Or Loss From Business.

In June 1989 Mr. Black acquired an insurance policy on his life from Northwestern Mutual Life Insurance Co. (Northwestern). The policy was a so-called whole life policy having both cash value and loan features.

Under the terms of the policy, Mr. Black was permitted to borrow against the policy in an amount not in excess of its cash value. In that regard the policy provided that policy debt consisted of all outstanding loans and accrued interest and that unpaid interest would be added to loan principal. The policy also provided that Mr. Black could surrender the policy and receive as a distribution the cash value of the policy minus any outstanding policy debt. Finally, the policy provided that it would terminate if policy debt were to equal (or exceed) the cash value.

*30 Over *31 time Mr. Black borrowed $103,548 against the policy. In addition, interest due on each loan accrued at a specified annual percentage rate pursuant to the terms of the policy. Mr. Black did not repay the loans.

In January 2009 the policy was terminated. Upon termination, the outstanding loans were satisfied by policy proceeds and extinguished. At that time the combined balance of the loans, including principal and interest, was $196,230, and Mr. Black's investment in the contract (in the form of aggregate premiums paid) was $86,663.

Northwestern issued to Mr. Black a Form 1099-R, Distributions From Pensions, Annuities, Retirement Or Profit-Sharing Plans, IRAs, Insurance Contracts, Etc., for 2009 reflecting a gross distribution of $196,230 and a taxable amount of $109,567. The latter amount represented the difference between the combined balance of the loans at the time that the policy was terminated, i.e., $196,230, and Mr. Black's investment in the contract, i.e., $86,663.

Petitioners self-prepared and timely filed their 2009 Federal income tax return, reporting a total tax due of $36,583. They did not report any part of the taxable income reflected on the Form 1099-R that had been issued *32 by Northwestern, nor did they acknowledge on their return either such form or any aspect of the termination of the life insurance policy or even the policy itself.

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2014 T.C. Memo. 27, 107 T.C.M. 1147, 2014 Tax Ct. Memo LEXIS 28, Counsel Stack Legal Research, https://law.counselstack.com/opinion/black-v-commr-tax-2014.