Cabirac v. Comm'r

2008 T.C. Memo. 142, 95 T.C.M. 1555, 2008 Tax Ct. Memo LEXIS 143
CourtUnited States Tax Court
DecidedMay 22, 2008
DocketNo. 24207-06
StatusUnpublished

This text of 2008 T.C. Memo. 142 (Cabirac 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
Cabirac v. Comm'r, 2008 T.C. Memo. 142, 95 T.C.M. 1555, 2008 Tax Ct. Memo LEXIS 143 (tax 2008).

Opinion

MICHAEL CABIRAC, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Cabirac v. Comm'r
No. 24207-06
United States Tax Court
T.C. Memo 2008-142; 2008 Tax Ct. Memo LEXIS 143; 95 T.C.M. (CCH) 1555;
May 22, 2008, Filed
Cabirac v. Commissioner, 120 T.C. 163, 2003 U.S. Tax Ct. LEXIS 11 (2003)
*143
Michael Cabirac, Pro se.
James H. Harris, Jr., for respondent.
Foley, Maurice B.

MAURICE B. FOLEY

MEMORANDUM FINDINGS OF FACT AND OPINION

FOLEY, Judge: The issues for decision are whether petitioner is liable for income tax deficiencies attributable to unreported income, for sections 6651(a)(1)1 and (2) and 6654(a) additions to tax, for a section 6662(a) penalty, and for a section 72(t) additional tax.

FINDINGS OF FACT

Beginning in 2001, petitioner worked for United States Liability Insurance Co. (USLIC) as an insurance underwriter. In 2002 and 2003, USLIC paid petitioner $ 68,115 and $ 77,546, respectively, and issued Forms W-2, Wage and Tax Statement, reflecting those amounts. In 2002, petitioner also received from National Financial Services, L.L.C. retirement distributions totaling $ 5,500.

Petitioner did not file an income tax return relating to 2001. In 2003, respondent prepared a substitute for return (SFR) relating to petitioner's 2001 taxable year. On September 14, 2004, petitioner submitted Forms 1040, *144 U.S. Individual Income Tax Return, relating to 2002 and 2003. On the 2002 Form 1040, petitioner reported zero income and zero tax liability, and requested an $ 8,610 refund. Respondent did not accept the 2002 Form 1040 as a valid return, and prepared an SFR which set forth a tax liability of $ 15,758. On the 2003 Form 1040, petitioner reported zero income and zero tax liability and requested a refund of $ 10,010. Respondent processed the 2003 Form 1040.

On August 23, 2006, respondent issued petitioner notices of deficiency relating to 2002 and 2003 determining income tax deficiencies of $ 15,758 and $ 14,613, respectively. Respondent also determined that petitioner was liable for a section 6651(a)(1) addition to tax for failure to timely file tax returns relating to 2002 and 2003, a section 6651(a)(2) addition to tax for failure to pay relating to 2002 and 2003, a section 6654(a) addition to tax for failure to pay estimated tax relating to 2002, a section 6662(a) accuracy-related penalty for underpayment of tax relating to 2003, and a section 72(t) additional tax for retirement plan distributions relating to 2002.

On November 24, 2006, petitioner, while residing in Pennsylvania, filed *145 his petition.

OPINION

Petitioner concedes that in 2002 and 2003, respectively, he received $ 68,115 and $ 77,546 from USLIC, and in 2002 received distributions totaling $ 5,500 from National Financial Services, L.L.C. Petitioner raised numerous meritless contentions and failed to present any credible evidence. 2 Accordingly, petitioner is liable for the deficiencies.

A taxpayer shall be liable for additions to tax for failure to timely file a return unless such failure was due to reasonable cause and not willful neglect. Sec. 6651(a)(1). Petitioner submitted both his 2002 and 2003 Forms 1040 on September 14, 2004. Pursuant to section 7491(c), respondent bears and has met his burden of production relating to section 6651(a), and petitioner's failure to timely file returns was a result of willful neglect and not reasonable cause. Accordingly, petitioner is liable for the

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Related

Wheeler v. Commissioner
521 F.3d 1289 (Tenth Circuit, 2008)
Dwyer v. Commissioner
106 T.C. No. 18 (U.S. Tax Court, 1996)
Cabirac v. Comm'r
120 T.C. No. 10 (U.S. Tax Court, 2003)
Wheeler v. Comm'r
127 T.C. No. 14 (U.S. Tax Court, 2006)
Niedringhaus v. Commissioner
99 T.C. No. 11 (U.S. Tax Court, 1992)
Bagby v. Commissioner
102 T.C. 596 (U.S. Tax Court, 1994)

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Bluebook (online)
2008 T.C. Memo. 142, 95 T.C.M. 1555, 2008 Tax Ct. Memo LEXIS 143, Counsel Stack Legal Research, https://law.counselstack.com/opinion/cabirac-v-commr-tax-2008.