Boyle v. Comm'r

2016 T.C. Memo. 87, 111 T.C.M. 1392, 2016 Tax Ct. Memo LEXIS 86
CourtUnited States Tax Court
DecidedMay 2, 2016
DocketDocket No. 4666-09
StatusUnpublished
Cited by10 cases

This text of 2016 T.C. Memo. 87 (Boyle 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
Boyle v. Comm'r, 2016 T.C. Memo. 87, 111 T.C.M. 1392, 2016 Tax Ct. Memo LEXIS 86 (tax 2016).

Opinion

JOSEPH PATRICK BOYLE, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Boyle v. Comm'r
Docket No. 4666-09
United States Tax Court
T.C. Memo 2016-87; 2016 Tax Ct. Memo LEXIS 86;
May 2, 2016, Filed

An appropriate decision will be entered.

*86 Joseph Patrick Boyle, Pro se.
Scott T. Welch, for respondent.
GALE, Judge.

GALE
MEMORANDUM FINDINGS OF FACT AND OPINION

GALE, Judge: This case arises from a petition for review pursuant to section 6015(e)1 of respondent's determination that petitioner is not entitled to any *88 relief under section 6015(f) with respect to his 2003 and 2005 taxable years, and only partial relief with respect to his 2004 taxable year. At trial petitioner conceded that he is not entitled to any further relief for 2004 or any relief for 2005. The issue remaining for decision is whether petitioner is entitled to any relief under section 6015(f) for 2003. We hold that he is.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. Petitioner resided in Louisiana at the time the petition was filed.

During 2003 and many preceding years, petitioner was self-employed full time in the business of selling printer cartridges. He devoted substantial time during business hours to his sales work and also had a side business refurbishing cartridges*87 that he pursued during evening hours. Petitioner relied on his spouse, Patricia J. Boyle (Mrs. Boyle), to handle the bookkeeping for his business, including the preparation of invoices and payment of bills. Mrs. Boyle also managed the household finances, including payment of household bills. The Boyles maintained a joint checking account during 2003. Although petitioner had access to the account and made deposits into it, Mrs. Boyle managed the account, including writing all checks to cover petitioner's business expenses and the couple's personal expenses.

*89 As part of her management of business and personal finances, Mrs. Boyle also assumed responsibility for having the couple's joint Federal income tax returns prepared and for filing them. She had done so for many years prior to 2003. Mrs. Boyle would gather information for their return preparer, and then present a prepared return to petitioner for his signature. She presented petitioner with a return prepared for 2003 for his signature and advised him that she would mail it. However, Mrs. Boyle did not in fact mail the return she had petitioner sign. Respondent's account transcript for petitioner's 2003 taxable year does not indicate*88 that petitioner received any notice with respect to the Boyles' failure to file a return or pay the tax for 2003 during 2004 or 2005. As more fully discussed hereinafter, petitioner belatedly filed a 2003 return in September 2006 when he discovered, after his wife's death, that she had not done so. The first notice petitioner received from respondent concerning any problem for his 2003 taxable year was a notice of balance due issued one month after petitioner belatedly filed a 2003 return in September 2006.

Consistent with the couple's longstanding practice, Mrs. Boyle also had the joint Federal income tax return for 2004 prepared, and she presented it to petitioner for his signature. Both petitioner and Mrs. Boyle signed the 2004 return on May 20, 2005, and it was timely filed (pursuant to an extension) on May 28, *90 2005. The 2004 return reported total income of $24,031, consisting of petitioner's self-employment income of $7,806 and Mrs. Boyle's gambling income of $16,225. The return reported a tax due of $1,861 and claimed estimated tax payments of $9,860. No such estimated tax payments had been made, however, and on June 27, 2005, respondent assessed the tax reported as due as well*89 as a section 6651(a)(2) addition to tax for failure to timely pay and interest. Respondent's account transcript for petitioner's 2004 taxable year records that a notice of balance due regarding that year was issued to petitioner on June 27, 2005.

Mrs. Boyle died on June 14, 2005, as a result of breast, spine, and liver cancer. She died testate, and petitioner was the sole beneficiary under her will. After Mrs. Boyle's death, at a time not disclosed in the record but before September 12, 2006, petitioner discovered that Mrs. Boyle had not filed the 2003 return he had signed. He thereupon had the couple's long-time return preparer prepare a joint return for 2003, which petitioner signed on September 14, 2006.2 Petitioner filed that return (as a surviving spouse) on September 16, 2006. The *91 2003 return reported total income of $23,210, consisting of petitioner's self-employment income of $23,089 and his wage income of $121.3 The return reported a tax due of $3,451 with no payments or prepaid credits, resulting in an underpayment in that amount. On October 16, 2006, respondent assessed the tax reported as due, as well as additions to tax of $776 and $535 under section 6651(a)(1) and (2) for late filing and late payment, respectively,*90 and $677 in interest.

Petitioner timely filed a joint Federal income tax return for 2005 on October 18, 2006, pursuant to an extension, as a surviving spouse. The 2005 return reported adjusted gross income of $15,085, consisting entirely of petitioner's self-employment income.

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Cite This Page — Counsel Stack

Bluebook (online)
2016 T.C. Memo. 87, 111 T.C.M. 1392, 2016 Tax Ct. Memo LEXIS 86, Counsel Stack Legal Research, https://law.counselstack.com/opinion/boyle-v-commr-tax-2016.