CHAPPELL v. COMMISSIONER

2001 T.C. Memo. 146, 81 T.C.M. 1781, 2001 Tax Ct. Memo LEXIS 206
CourtUnited States Tax Court
DecidedJune 20, 2001
DocketNo. 2875-99
StatusUnpublished

This text of 2001 T.C. Memo. 146 (CHAPPELL 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
CHAPPELL v. COMMISSIONER, 2001 T.C. Memo. 146, 81 T.C.M. 1781, 2001 Tax Ct. Memo LEXIS 206 (tax 2001).

Opinion

MICHAEL T. CHAPPELL, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
CHAPPELL v. COMMISSIONER
No. 2875-99
United States Tax Court
T.C. Memo 2001-146; 2001 Tax Ct. Memo LEXIS 206; 81 T.C.M. (CCH) 1781;
June 20, 2001, Filed

*206 Decision will be entered under Rule 155.

Michael T. Chappell, pro se.
Linda J. Wise, for respondent.
Colvin, John O.

Colvin

MEMORANDUM FINDINGS OF FACT AND OPINION

COLVIN, JUDGE: Respondent determined deficiencies in petitioner's Federal income tax of $ 27,643 for 1994 and $ 27,024 for 1995, an addition to tax under section 6651(a)(1) of $ 6,897 for 1994, and accuracy-related penalties under section 6662(a) of $ 5,529 for 1994 and $ 5,330 for 1995.

After concessions, the issues for decision are:

1. Whether petitioner's proper filing status is head of household for 1994 and 1995, as petitioner contends, or married filing separately, as respondent contends. We hold that it is married filing separately.

2. Whether petitioner is entitled to the earned income credit for 1995. We hold that he is not.

3. Whether petitioner had unreported income from his Schedule C business for 1994 and 1995. 1 We hold that he had unreported income of $ 42,972 for 1994 and $ 12,068 for 1995.*208

4. Whether petitioner may deduct miscellaneous expenses related to his income tax return preparation business for 1994 and 1995. We hold that he may to the extent discussed below.

5. Whether*207 petitioner is liable for the 10-percent addition to tax under section 72(t) for 1995 for an early distribution from a retirement account. We hold that he is.

6. Whether petitioner is liable for the addition to tax for failure to timely file under section 6651(a)(1) for 1994. We hold that he is.

7. Whether petitioner is liable for the accuracy-related penalty under section 6662(a) for 1994 and 1995. We hold that he is. 2

Unless otherwise indicated, section references are to the Internal Revenue Code. Rule references are to the Tax Court Rules of Practice and Procedure.

FINDINGS OF FACT

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

A. PETITIONER

Michael T. Chappell (petitioner) lived in Montgomery, Alabama, when he filed the petition in this case.

Petitioner and Angela Denise McGraw Chappell (Mrs. Chappell) have been married since 1978. They have three children. Lesley Nicole (Nicole) Chappell was born November 22, 1977; Ashley Brooke (Brooke) Chappell was born April 5, 1982; and Michael Tyrone (Tye) Chappell was born January 12, 1986. Nicole was diagnosed with Hodgkins disease around July 1995. Petitioner and Mrs. Chappell lived apart in 1994 and 1995.

Petitioner's father, Charles Chappell, has been a public accountant in Montgomery for more than 30 years.

B. *209 PETITIONER'S TAX PREPARATION BUSINESS

Petitioner has operated an unincorporated income tax preparation business in Montgomery for 25 years. He operated the business from his home at 3314 Lower Wetumpka Road in Montgomery in 1994 and 1995.

Petitioner did not prepare or file any Forms W-2 (Wage and Tax Statement) or Forms 1099-MISC (Miscellaneous Income) for his tax preparation business in 1994 and 1995.

C. PETITIONER'S HOUSES

1. THE LOWER WETUMPKA ROAD HOUSE

On October 2, 1992, petitioner bought a house at 3314 Lower Wetumpka Road (the Lower Wetumpka Road house) in Montgomery for $ 30,000. Petitioner financed $ 29,000 of the purchase price through the sellers. Petitioner made the monthly payments on the mortgage (usually $ 279.42, including taxes and insurance) from his Colonial Bank account. He paid $ 3,258.33 in 1994 and $ 2,235.36 in 1995.

The Lower Wetumpka Road house has 918 square feet and contains four rooms and a kitchen and bathroom. Petitioner used the large room in the front of the house as a waiting room during tax filing season. It was also used by the Freedom Quilting Bee, a 150- year old quilting cooperative, on whose behalf petitioner lobbied. The room contained*210 a copy machine, shelves, a couch, and a large quilting frame. The small room in the front of the house was a year- round office for tax customers. Petitioner kept files and computer records in that room.

During tax season, the medium-sized room adjoining the rear of the large room usually contained three desks and a television. After tax season, the quilters sometimes watched television in the room. Petitioner also used it as a map and meeting room for his lobbying activities.

There is a bedroom next to the room petitioner used as the tax office. The bedroom is about 100 square feet, and contains a bed, a dresser, mirrors, shelves, closet, and a linen closet. That is the only bed in the house.

2. THE CREEK DRIVE HOUSE

On October 15, 1992, petitioner and Mrs. Chappell bought a house at 118 Creek Drive (the Creek Drive house) in Montgomery for $ 144,000. The Creek Drive house was built in 1992 and has 2,505 square feet. Petitioner paid the mortgage on this house. Mrs.

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2001 T.C. Memo. 146, 81 T.C.M. 1781, 2001 Tax Ct. Memo LEXIS 206, Counsel Stack Legal Research, https://law.counselstack.com/opinion/chappell-v-commissioner-tax-2001.