BROWN v. COMMISSIONER

2005 T.C. Summary Opinion 85, 2005 Tax Ct. Summary LEXIS 31
United States Tax Court·Decided June 16, 2005·No. No. 18198-03S·Unpublished

Opinion

CHARLES A. BROWN, JR. AND LINDA L. BROWN, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
BROWN v. COMMISSIONER
No. 18198-03S
United States Tax Court
T.C. Summary Opinion 2005-85; 2005 Tax Ct. Summary LEXIS 31;
June 16, 2005, Filed

*31 PURSUANT TO INTERNAL REVENUE CODE SECTION 7463(b), THIS OPINION MAY NOT BE TREATED AS PRECEDENT FOR ANY OTHER CASE.

Charles A. Brown, Jr., for petitioners.
Robert F. Saal, for respondent.
Powell, Carleton D.

CARLETON D. POWELL

POWELL, Special Trial Judge: This case was heard pursuant to the provisions of section 7463 1 of the Internal Revenue Code in effect at the time the petition was filed. The decision to be entered is not reviewable by any other court, and this opinion should not be cited as authority.

Respondent determined a deficiency of $ 3,075 in petitioners' 1998 Federal income tax and an addition to tax under section 6651(a)(1) of $ 769.25. After respondent's concession that petitioners are entitled to an education credit of $ 383, the issues are whether petitioners are (1) entitled*32 to deduct certain Schedule C, Profit or Loss From Business, business expenses under section 162 relating to a part-time law practice of petitioner Charles A. Brown, Jr. (Mr. Brown); (2) entitled to deduct a greater amount of charitable contributions under section 170 than allowed by respondent; and (3) liable for the addition to tax under section 6651(a)(1) for failing to timely file their 1998 return.

At the time the petition was filed petitioners resided in Westfield, New Jersey.

Background

Mr. Brown has been an attorney for 30 years. In 1998, he worked full-time for a company called Mecca and part-time with his own law practice. Petitioner Linda L. Brown (Mrs. Brown) operated a child day care services business. Each filed a Schedule C for the respective business, but only items concerning Mr. Brown's Schedule C are in dispute.

Mr. Brown's Schedule C for 1998 reflected the following:

Gross Income$ 1,800
Less:
Car and truck2,496
Insurance
(other than health)3,096
Rent or lease6,002
Utilities1,800

The insurance amount includes car, homeowner's, and life insurance expenses. The amounts claimed as a deduction under car and truck and rent or lease*33 are for expenses for a leased 1997 Acura. The amount deducted under utilities relates to expenses from Mr. Brown's home office. Petitioners also deducted $ 7,375 in charitable contributions.

On April 15, 1999, petitioners timely requested an extension for the filing of their 1998 return. The filing date was extended to August 15, 1999. Petitioners' 1998 return was filed on January 25, 2001.

Upon examination, respondent disallowed the following amounts claimed as deductions on Mr. Brown's Schedule C: $ 2,042 of the car and truck expenses; $ 2,377 of the insurance expenses; $ 4,530 of the rent or lease expenses; and the entire $ 1,800 of utilities expenses. Respondent also disallowed $ 1,600 of the claimed deduction for charitable contributions.

Respondent issued a notice of deficiency to petitioners for 1998 on August 13, 2003, determining an income tax deficiency of $ 3,075 and an addition to tax under section 6651 of $ 769.25 for failure to file a tax return or to pay a tax penalty.

Discussion

A. Schedule C Expenses

Section 162 allows a deduction for all ordinary and necessary expenses incurred in carrying on a trade or business if the taxpayer maintains records or other*34 proof sufficient to substantiate the expenses. 2Secs. 162(a), 6001; sec. 1.6001-1(a), Income Tax Regs.

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BROWN v. COMMISSIONER, 2005 T.C. Summary Opinion 85, 2005 Tax Ct. Summary LEXIS 31 (tax 2005).

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