CASTLE v. COMMISSIONER

2002 T.C. Memo. 142, 2002 Tax Ct. Memo LEXIS 147
CourtUnited States Tax Court
DecidedJune 6, 2002
DocketNo. 10195-00
StatusUnpublished

This text of 2002 T.C. Memo. 142 (CASTLE 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.

Bluebook
CASTLE v. COMMISSIONER, 2002 T.C. Memo. 142, 2002 Tax Ct. Memo LEXIS 147 (tax 2002).

Opinion

SUSAN L. CASTLE, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
CASTLE v. COMMISSIONER
No. 10195-00
United States Tax Court
T.C. Memo 2002-142; 2002 Tax Ct. Memo LEXIS 147;
June 6, 2002, Filed
*147

Respondent did not abuse his discretion in denying petitioner relief under section 6015(f).

Gino Pulito, for petitioner.
Katherine Lee Kosar and Dennis G. Driscoll, for respondent.
Chiechi, Carolyn P.

CHIECHI

MEMORANDUM FINDINGS OF FACT AND OPINION

CHIECHI, Judge: This case arises from a request for equitable relief (relief) under section 6015(f)1 with respect to petitioner's taxable year 1993. We must decide whether respondent abused respondent's discretion in denying petitioner relief under that section for that year. We hold that respondent did not abuse respondent's discretion.

              FINDINGS OF FACT

Some of the facts have been stipulated and are so found.

Petitioner resided in Las Vegas, Nevada, at the time she filed the petition.

Petitioner is a high school graduate and has completed approximately 1-

On August 17, 1994, petitioner and Mr. Castle signed Form 1040, U.S. Individual Income Tax Return (return), for their taxable year 1993 (1993 joint return). 2 On that date, John Obrig signed *148 the 1993 joint return as the paid preparer of that return. The 1993 joint return showed, inter alia, wages totaling $ 25,625 received by petitioner from Adia Services, Inc. of Ohio and Banc One Vehicle Finance Corp., income from Mr. Castle's Schedule C computer consulting business of $ 67,849, Federal income tax (tax) of $ 26,056, tax withheld from petitioner's wages of $ 2,344, estimated tax payments of $ 255, and tax due of $ 23,457.

On April 17, 1996, petitioner filed with the Internal Revenue Service (IRS) a return for her taxable year 1994 (petitioner's 1994 return). 3 Petitioner did not request or receive an extension of time within which to file petitioner's 1994 return.

On *149 June 24, 1996, almost 2 years after petitioner and Mr. Castle signed the 1993 joint return, they filed it with the IRS. At the time they filed the 1993 joint return, petitioner and Mr. Castle did not pay the tax due shown in that return.

On August 19, 1996, respondent assessed the following amounts with respect to the 1993 joint return: Tax of $ 26,056, 4 penalties of $ 8,654.47, and interest of $ 6,290.61.

At a time not disclosed by the record, but prior to June 2, 1998, petitioner and Mr. Castle separated. Thereafter, on June 2, 1998, petitioner and Mr. Castle signed a property settlement agreement (property settlement agreement). That agreement provided, inter alia:

     12. The parties hereto do make the following division and

   settlement of their property:

     A. Wife [petitioner] shall receive as her sole and separate

     property:

        1) Any personalty in Wife's possession; and

        2) Personal effects of Wife.

     B. Husband [Mr. Castle] shall receive as his sole and

     separate property:

        1) Any personalty in Husband's possession; and

        2) Personal effects of *150 Husband.

     C. Husband shall assume and pay the following debts,

     holding Wife harmless therefrom:

        1. All financial and tax obligations as follows:

          A) Internal Revenue Service in the amount of

          $ 19,000.00;

           B) Internal Revenue Service in the amount of

          $ 4,207 (Dairy Queen);

          C) State Industrial Insurance in the amount of

          $ 1,600.00;

          D) Employment taxes in the amount of $ 406.00

          (Nevada);

          E) Sales taxes in the amount of $ 6,095.00; and

          F) Business license fees in the amount of

          $ 276.00.

     D. Wife must file individual tax returns for 1997 and

     thereafter, and if requested, sign an amended joint tax

     return with Husband for 1995 and 1996. Husband shall pay

     any sums due of the 1995 and 1996 tax returns.

     E. As to the business interest of the parties in the

     corporation known as LANTech, Inc., the parties agree that

     Wife shall convey her 50% shareholder interest in the

     corporation to Husband.

     13. The parties agree that all joint checking accounts,

   savings accounts, mutual funds, etc., maintained by the parties

   are to be closed, with the proceeds *151 therein to be divided

   equally between the parties.

           *   *   *   *   *   *   *

     15. All other remaining property, both real and personal,

   has been divided and distributed by and between the parties

   pursuant to oral agreement by and between the parties.

On July 23, 1998, petitioner and Mr. Castle divorced. The property settlement agreement was incorporated by reference in, and made part of, the divorce decree.

On May 15, 1999, petitioner submitted to respondent Form 8857, Request for Innocent Spouse Relief, with respect to petitioner's taxable year 1993.

On May 25, 1999, petitioner wrote a letter to respondent in which she stated, inter alia:

   To the best of my recollection a tax return was filed for the

   year 1993 and all taxes if owed paid.

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2002 T.C. Memo. 142, 2002 Tax Ct. Memo LEXIS 147, Counsel Stack Legal Research, https://law.counselstack.com/opinion/castle-v-commissioner-tax-2002.