Bode v. Commissioner
This text of 1981 T.C. Memo. 300 (Bode 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.
Opinion
MEMORANDUM FINDINGS OF FACT AND OPINION
DAWSON,
*442 OPINION OF THE SPECIAL TRIAL JUDGE
DINAN,
FINDINGS OF FACT
This case was submitted fully stipulated pursuant to
Petitioners resided at 301 Debra Lane, Waterloo, Illinois, when they filed their petition in this case.
On their 1977 joint Federal income tax return, petitioners computed their tax liability on he basis of the income averaging provisions contained in sections 1301 through 1305, attaching Schedule G of Form 1040 to their return. The computations on Schedule G were as follows:
| 1976 | 1975 | 1974 | 1973 | |
| Taxable income | ($ 1,785.55) | $ 1,020.40 | ($ 6,894.70) | $ 608.84 |
| Zero bracket | 3,200.00 | 3,200.00 | 3,200.00 | 3,200.00 |
| amount | ||||
| Base poeriod | ||||
| income | $ 1,414.45 | $ 4,220.40 | $ 0.00 | $ 3,808.84 |
*443 The respondent agrees that petitioners' computations of base period income for the years 1973 and 1975 are correct. Respondent determined, however, that the base period income for 1974 and 1976 was $ 3,200 for each of those years.
OPINION
Respondent has recomputed petitioners' base period income for the years 1974 and 1976 by omitting from the computation for those years the negative figures entered on Schedule G by the petitioners and substituting in lieu thereof a zero figure. He then added to the zero figure for each of the years 1974 and 1976, and appropriate zero bracket amount of $ 3,200.
Section 1301 provides:
SEC. 1301. LIMITATION OF TAX.
If an eligible individual has averagable income for the computation year, and if the amount of such income exceeds $ 3,000, then the tax imposed by section 1 for the computation year which is attributable to averagable income shall be 5 times the increase in tax undedr such section which would result from adding 20 percent of such income to 120 per cent of average base period income.
Section 1302(b)(2) provides that the base period income for any taxable year is the taxable income for such year first increased and then*444 decreased in accordance with provisions set out in that section, which are not material to the issue herein.
The Tax Reduction and Simplification Act of 1977, Pub. L. 95-30, 91 Stat. 127, May 23, 1977, effective for taxable years beginning after 1976, substituted zero bracket amounts for the standard deduction.
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1981 T.C. Memo. 300, 42 T.C.M. 103, 1981 Tax Ct. Memo LEXIS 441, Counsel Stack Legal Research, https://law.counselstack.com/opinion/bode-v-commissioner-tax-1981.