Coady v. Commissioner

1998 T.C. Memo. 291, 76 T.C.M. 257, 1998 Tax Ct. Memo LEXIS 291
CourtUnited States Tax Court
DecidedAugust 6, 1998
DocketTax Ct. Dkt. No. 4722-97
StatusUnpublished
Cited by17 cases

This text of 1998 T.C. Memo. 291 (Coady 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
Coady v. Commissioner, 1998 T.C. Memo. 291, 76 T.C.M. 257, 1998 Tax Ct. Memo LEXIS 291 (tax 1998).

Opinion

FRANKLIN P. AND NONA COADY, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Coady v. Commissioner
Tax Ct. Dkt. No. 4722-97
United States Tax Court
T.C. Memo 1998-291; 1998 Tax Ct. Memo LEXIS 291; 76 T.C.M. (CCH) 257;
August 6, 1998, Filed

*291 Decision will be entered under Rule 155.

Lance A. Hulbert, for petitioners.
Gregory M. Hahn, for respondent.
LARO, JUDGE.

LARO

MEMORANDUM OPINION

LARO, JUDGE: This case is before the Court fully stipulated. See Rule 122. Franklin P. and Nona Coady petitioned the Court to*292 redetermine respondent's determination of a $ 49,531 deficiency in their 1994 Federal income tax. Following concessions, we must decide whether petitioners' 1994 gross income includes $ 373,307 that was awarded to Ms. Coady as compensation for a wrongful termination, or a lesser amount that is net of the legal fees and other costs that she incurred to recover this award. We hold it is the greater amount. Unless otherwise stated, section references are to the Internal Revenue Code in effect for the year in issue. Rule references are to the Tax Court Rules of Practice and Procedure. Dollar amounts are rounded to the nearest dollar.

BACKGROUND

All facts have been stipulated. 1 The stipulated facts and the exhibits submitted therewith are incorporated herein by this reference. When petitioners petitioned the Court, they resided in Lake Havasu City, Arizona. They are husband and wife, and they filed a 1994 Form 1040, U.S. Individual Income Tax Return, using the filing status of "Married filing joint return".

*293 On May 5, 1990, Ms. Coady was discharged from her employment with Alaska Housing Finance Corporation (AHFC). Thereafter, while, she resided in Alaska, she retained an attorney in the Alaska office of the law firm of Hellen, Partnow & Condon (HPC) to represent her in a wrongful termination suit against AHFC. According to the terms of that representation:

Ms. Coady is responsible for all costs incurred, e.g. filing fees, long distance telephone calls, telefax transmissions, photocopies, deposition charges, witness fees, computer research fees, appraiser's fees, travel expenses for attorneys or witnesses, expert consultation charges, cost of the investigation.

Attorney time will be compensated on the basis of the following contingent fee schedule:

33-1/3% if recovery is arrived at without appeal of any judgment.

45% in the event that any judgment is appealed and representation continues after a notice of appeal is filed.

On or about April 13, 1991, HPC, on behalf of Ms. Coady, filed suit against AHFC and certain individuals in the Superior Court for the State of Alaska, alleging damages arising from a wrongful termination of Ms. Coady's employment. Following a non-jury trial, *294 the court held AHFC, but not the individuals, liable for Ms. Coady's wrongful termination and awarded her the following damages:

Lost past earnings$ 89,225
Lost future earnings76,980
Lost fringes and lost pension207,102
Total373,307

AHFC paid Ms. Coady the awarded damages on November 7, 1994, issuing her a check for $ 259,611 and withholding $ 113,696 for Federal and State taxes. In the same year, Ms. Coady paid HPC legal fees and litigation costs totaling $ 221,338; of this amount, $ 124,436 represented HPC's contingent fee (33-1/3% x $ 373,307) and $ 96,903 represented litigation costs. AHFC issued Ms. Coady a 1994 Form W-2, Wage and Tax Statement, reporting that it paid her the $ 373,307 award as "wages, tips, other compensation."

On their 1994 Form 1040, petitioners included the $ 373,307 award in wages, and claimed a $ 284,082 "above-the-line" deduction for the amount of the award that was not paid on account of past earnings. Petitioners claimed and reported on their return that the $ 284,082 was received by Ms. Coady as self-employment income, and they claimed that $ 168,217 of the legal fees and costs was deductible from this*295 income, resulting in net income from self-employment of $ 115,865. 2 Petitioners claimed a miscellaneous itemized deduction of $ 53,121 with respect to the remaining legal fees and costs.

Respondent determined, and reflected in a notice of deficiency issued to petitioners on December 10, 1996, that petitioners' 1994 gross income includes the total award of $ 373,307. Respondent also determined that petitioners' legal fees and costs totaling $ 221,338 were deductible as a miscellaneous itemized deduction subject to the 2-percent floor under section 67. Petitioners concede that none of the award, legal fees, or costs was attributable to self-employment.

DISCUSSION

Petitioners argue that their 1994 gross income does not include the entire $ 373,307 award. According to petitioners, $ 221,338 of the award is excluded from their gross income because it was paid to Ms. Coady's counsel, HPC, under the contingent fee agreement. Petitioners rely on *296 Cotnam v. Commissioner,

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Williams v. Comm'r
2005 T.C. Memo. 29 (U.S. Tax Court, 2005)
Biehl v. Comm'r
118 T.C. No. 29 (U.S. Tax Court, 2002)
GALE v. COMMISSIONER
2002 T.C. Memo. 54 (U.S. Tax Court, 2002)
BANAITIS v. COMMISSIONER
2002 T.C. Memo. 5 (U.S. Tax Court, 2002)
FREEMAN v. COMMISSIONER
2001 T.C. Memo. 254 (U.S. Tax Court, 2001)
NELSON v. COMMISSIONER
2001 T.C. Summary Opinion 44 (U.S. Tax Court, 2001)
Taylor Miller v. Commissioner
2001 T.C. Memo. 55 (U.S. Tax Court, 2001)
Banks v. Commissioner
2001 T.C. Memo. 48 (U.S. Tax Court, 2001)
Hukkanen-Campbell v. Commissioner
2000 T.C. Memo. 180 (U.S. Tax Court, 2000)
Kenseth v. Commissioner
114 T.C. No. 26 (U.S. Tax Court, 2000)
Eldon R. Kenseth and Susan M. Kenseth v. Commissioner
114 T.C. No. 26 (U.S. Tax Court, 2000)
Benci-Woodward v. Commissioner
1998 T.C. Memo. 395 (U.S. Tax Court, 1998)
Sinyard v. Commissioner
1998 T.C. Memo. 364 (U.S. Tax Court, 1998)

Cite This Page — Counsel Stack

Bluebook (online)
1998 T.C. Memo. 291, 76 T.C.M. 257, 1998 Tax Ct. Memo LEXIS 291, Counsel Stack Legal Research, https://law.counselstack.com/opinion/coady-v-commissioner-tax-1998.