Blackburn v. Commissioner

1979 T.C. Memo. 266, 38 T.C.M. 1048, 1979 Tax Ct. Memo LEXIS 259
United States Tax Court·Decided July 17, 1979·No. Docket No. 8022-74.·Unpublished·Cited by 4 cases

Opinion

RAY C. BLACKBURN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Blackburn v. Commissioner
Docket No. 8022-74.
United States Tax Court
T.C. Memo 1979-266; 1979 Tax Ct. Memo LEXIS 259; 38 T.C.M. (CCH) 1048; T.C.M. (RIA) 79266;
July 17, 1979, Filed
Ray C. Blackburn, pro se.
Larry L. Nameroff, for the respondent.

HALL

MEMORANDUM FINDINGS OF FACT AND OPINION

HALL, Judge: Respondent determined the following deficiencies in petitioner's income tax and additions to tax:

Sec. 6651(a)(1) 1Sec. 6651(a)(2)Sec. 6653(a)
YearDeficiencyAddition to TaxAddition to TaxAddition to Tax
1967$2,149.96$252.62 $0$ 107.50
19681,550.04324.120148.88
19691,940.69345.130199.18
19703,137.74198.73176.65156.89
*261

Due to concessions by respondent, the issues remaining are:

1. The amount of employee business expenses which petitioner is entitled to deduct in the years 1969 through 1970.

2. The amount of itemized deductions which petitioner is entitled to deduct in the years 1967 through 1970.

3. The amount of wages received by petitioner from Security Sewage Equipment Company in 1970.

4. Whether petitioner is entitled to a business bad debt deduction for 1970 in any amount.

5. Whether petitioner is liable for delinquency and negligence penalties in each of the years 1967 through 1970.

6. Whether petitioner is liable for the penalty for failure to pay tax for 1970.

FINDINGS OF FACT

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

At the time of filing his petition, Ray C. Blackburn was a resident of Cleveland, Ohio. Petitioner filed individual tax returns for taxable years 1968 and 1969 on the basis of "married--filing separately." These returns were filed on October 12, 1973. On May 2, 1968, respondent granted petitioner an extension*262 of time until June 17, 1968, to file his individual tax return for 1967. Petitioner never filed returns for either 1967 or 1970.

Petitioner was separated from his wife, Marjorie Blackburn ("Marjorie") during the years in issue. Marjorie filed individual income tax returns for each of the years 1967 through 1970 on the basis of "married--filing separately." She claimed herself as an exemption and itemized her personal deductions.

At all times material to this case, petitioner was general manager of the Security Sewage Equipment Company ("SSEC"), a corporation involved in the business of manufacturing, installing, transporting, and servicing sewage treatment plants. During the years in issue, the majority shareholder of SSEC was either Marjorie and/or a trust for the benefit of petitioner's son, Ray A. Blackburn. Petitioner was trustee of his son's trust.

During the years 1967, 1968, and 1969 petitioner and Marjorie jointly owned a residence at 24607 Emery Road, Warrensville Heights, Ohio. In 1970 the property was transferred to petitioner's son as part of the property settlement between petitioner and Marjorie. Amounts paid for mortgage interest and real estate taxes*263 on this residence during the years in issue were as follows:

YearInterest PaidTaxes Paid
1967$681.50$457.14
1968652.22410.86
1969621.33414.68
1970588.93466.10

For taxable year 1967 petitioner had wages from SSEC of $10,600. In his petition and at trial, petitioner claimed the following items as employee business expenses for 1967:

ItemAmount
Gift for secretary and bookkeeper $ 10.00
Party for stockholders70.00

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Blackburn v. Commissioner, 1979 T.C. Memo. 266, 38 T.C.M. 1048, 1979 Tax Ct. Memo LEXIS 259 (tax 1979).

1979 T.C. Memo. 266 (Blackburn v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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