Bozick v. Comm'r

2010 T.C. Memo. 61, 99 T.C.M. 1242, 2010 Tax Ct. Memo LEXIS 62
CourtUnited States Tax Court
DecidedMarch 30, 2010
DocketNo. 24849-07
StatusUnpublished

This text of 2010 T.C. Memo. 61 (Bozick 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
Bozick v. Comm'r, 2010 T.C. Memo. 61, 99 T.C.M. 1242, 2010 Tax Ct. Memo LEXIS 62 (tax 2010).

Opinion

WENDY W. BOZICK, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Bozick v. Comm'r
No. 24849-07
United States Tax Court
T.C. Memo 2010-61; 2010 Tax Ct. Memo LEXIS 62; 99 T.C.M. (CCH) 1242;
March 30, 2010, Filed
*62
John Paul Decatorsmith, for petitioner.
Robert T. Little and Angela B. Friedman, for respondent.
Morrison, Richard T.

RICHARD T. MORRISON

MEMORANDUM FINDINGS OF FACT AND OPINION

MORRISON, Judge: In December 2004 Wendy W. Bozick (Bozick) and her husband filed a joint income tax return for the year 2003. Bozick later asked the Internal Revenue Service (IRS) to relieve her of joint income tax liability. The IRS denied her request. Bozick filed a petition with the Court challenging the IRS' denial. 1*63 The factual issues about which Bozick and the IRS disagree are: (1) Whether Bozick had reason to know that her husband would not pay the 2003 liability at the time she signed the joint return; (2) whether Bozick will suffer economic hardship if she is not relieved of joint income tax liability; (3) whether the failure of the couple to pay their 2003 tax liability created a significant benefit to Bozick; and (4) whether Bozick made a good-faith effort to comply with the Federal income tax laws in the tax years after 2003.

FINDINGS OF FACT

Bozick's husband, Gary Bozick, died on April 22, 2006. Gary Bozick was a personal injury defense lawyer. While her husband was alive, Bozick did not perform significant work outside the home. She did not handle the finances. She had no bank accounts. She was not allowed by her husband to use a credit card. She was not allowed to open the mail. Her only interaction with the financial aspects of the household was to buy groceries with money her husband gave her in the form of hundred-dollar bills. Bozick had a 2-year college degree.

In 2001 Bozick's husband was diagnosed with leukemia. Shortly afterwards, her husband transferred ownership of their house from joint tenancy to sole ownership in Bozick's name. From 2001 through 2003 her husband's symptoms subsided and he relapsed at least twice. Des! pite the symptoms of the disease, her husband continued to work in 2003. He had a stem cell transplant in December 2003.

Bozick earned only $ 1,025 in wages in 2003. Her husband earned about $ 460,000 from his law practice that year according to the tax return the Bozicks would eventually file.

Bozick was under the impression *64 that the 2003 income tax return was due in October 2004. As this date approached, Bozick feared that her husband might not prepare their income tax return. Therefore, she filed a separate return. When her husband found out, he became furious. He told her that filing separately rather than jointly would cost the family $ 17,000. Bozick's husband then had the joint return prepared. He had Bozick sign it without giving her a chance to examine it. The return, filed on December 24, 2004, showed that the couple had a tax liability of $ 137,453.

Neither of the Bozicks filed a return for 2004. Bozick filed a separate return for 2005. For the tax year 2006 Bozick testified that her tax return was mailed to the IRS. She introduced a copy of the 2006 return into the record as Exhibit 25-P. However, the IRS' internal records do not show a 2006 return was received. For 2007 Bozick filed a return.

Bozick's husband's law firm broke up in December 2005. Before then, Bozick's husband owned assets through his law firm's pension plan. After the law firm broke up, he transferred assets to a section 401(k) account. In July 2005 Bozick petitioned for a divorce.

In April 2006 Bozick's husband died of leukemia. *65 Bozick received $ 750,000 in proceeds from her husband's life insurance policy.

In February 2007 Bozick submitted to the IRS a Form 8857, Request For Innocent Spouse Relief, and a Form 12510, Questionnaire for Requesting Spouse. In these documents Bozick requested relief from the 2003 joint income tax liability.

In July 2007 the IRS sent a letter to Bozick stating that she did not qualify for section 6015(f) relief. The letter said that Bozick had failed to show that it would be unfair for her to be held jointly liable; that Bozick did not prove that she had a reason to believe, at the time she signed the return, that the tax would be paid; and that Bozick did not prove that she would suffer economic hardship.

The section 401(k) account remained unclaimed after the death of Bozick's husband. Then, in the summer of 2008, the IRS seized the section 401(k) account to pay the 2003 joint tax liability. The amount in the section 401(k) account was $ 145,000. After the section 401(k) account was seized, the amount owed in penalties and interest was $ 106,000. This is the amount that Bozick will be required to pay if she is denied relief from joint liability.

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Cite This Page — Counsel Stack

Bluebook (online)
2010 T.C. Memo. 61, 99 T.C.M. 1242, 2010 Tax Ct. Memo LEXIS 62, Counsel Stack Legal Research, https://law.counselstack.com/opinion/bozick-v-commr-tax-2010.