Cutler v. Comm'r

2013 T.C. Memo. 119, 105 T.C.M. 1704, 2013 Tax Ct. Memo LEXIS 121
United States Tax Court·Decided May 6, 2013·No. Docket Nos. 16840-10L, 1471-11·Unpublished·Cited by 18 cases

Opinion

KELLY A. CUTLER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Cutler v. Comm'r
Docket Nos. 16840-10L, 1471-11
United States Tax Court
T.C. Memo 2013-119; 2013 Tax Ct. Memo LEXIS 121; 105 T.C.M. (CCH) 1704;
May 6, 2013, Filed
*121

An appropriate order and decision will be entered in docket No. 16840-10L. Decision will be entered for petitioner in docket No. 1471-11.

Michael L. Deamer, for petitioner.
Inga C. Plucinski, for respondent.
VASQUEZ, Judge.

VASQUEZ
MEMORANDUM FINDINGS OF FACT AND OPINION

VASQUEZ, Judge: In these consolidated cases, petitioner seeks our review, pursuant to section 6015(e)(1), 1 of respondent's determination that she is not *119 entitled to relief from joint and several liability under section 6015(f) with respect to her Federal income tax liabilities for 2002 through 2005. She also seeks our review, pursuant to section 6330(d)(1), of respondent's determination to sustain a proposed levy action for 2005 and, in connection therewith, alleges that respondent wrongfully seized funds belonging to her children and requests that we order respondent to return the funds.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts, the supplemental stipulation of facts, and the accompanying exhibits are incorporated herein by this reference. Petitioner resided in Utah at the time she filed the petition.

I. Background

Petitioner and Curtis Easton Cutler were married on May 22, 1982. They had eight children together over the course of their nearly 25-year marriage. Petitioner primarily worked as a homemaker raising and caring for the children. Mr. Cutler graduated from dental school in 1994 and the following year formed Willow Creek Dental, LLC (Willow Creek Dental).

*120 Willow Creek Dental elected to be taxed as an S corporation for Federal income tax purposes. 2 Mr. Cutler served as its president and was its sole shareholder. During the years in issue Willow Creek Dental operated dental practices in Sandy, Utah (Sandy dental practice), and American Fork, Utah (American Fork dental practice). Willow Creek Dental employed Mr. Cutler as its sole dentist. 3 It also employed two to three dental assistants, an office manager for each location, and a bookkeeper.

Mr. Cutler disliked financial tasks, so much so that he just refused to deal with the dental practices' finances or his personal finances. That task fell upon petitioner. She had completed only one year of college, and she had no formal training in accounting or tax, but she understood that if she did not take care of the finances, the bills would be left unpaid. She used Willow Creek Dental's bank account, to which both she and Mr. Cutler had access, to pay personal and family expenses, and she assisted the bookkeeper with paying the dental practices' expenses. During the four-year period 2002-05 she wrote 23 checks drawn on *121 Willow Creek Dental's bank account totaling $58,630.68 to the IRS in partial payment of Mr. Cutler's and her individual income tax liabilities. 4 Because Mr. Cutler refused to deal with any financial matters, she also handled the preparation of their joint individual income tax return and Willow Creek Dental's corporate tax return for each of the years in issue.

II. Divorce Proceedings

On October 23, 2006, petitioner and Mr. Cutler ceased living together. Petitioner attributes the decline of the marriage to Mr. Cutler's personal problems. On April 30, 2007, petitioner filed for and was granted a divorce from Mr. Cutler by the Fourth Judicial District Court, Utah County, State of Utah (divorce court), on the grounds of irreconcilable differences. The divorce court awarded petitioner custody of the children, 5 child support of $2,179 per month, alimony of $1 per year, the Sandy dental practice and the American Fork dental practice, the marital house, two parcels of land, an insurance policy, and personal property.

*122 III. The Aftermath of the Divorce

Mr. Cutler had quit working at the dental practices and had moved to his parents' house in California. He failed to make the court-ordered child support payments. He left petitioner to fend for herself and their five minor children. Petitioner sold the American Fork dental practice and the two parcels of land to pay off the practice's outstanding loans and laboratory bills, to get the mortgage loan on her house out of foreclosure, and to pay personal and living expenses. 6

Petitioner experienced severe financial difficulty after the divorce. She held onto the Sandy dental practice but struggled to keep it afloat. Neither she nor the recent dental school graduate she hired in place of Mr. Cutler knew how to run a dental practice. Her difficulties at work were compounded by having to support five minor children at home by herself. She accumulated approximately $30,000 in medical bills for the care of the children.

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Cutler v. Comm'r, 2013 T.C. Memo. 119, 105 T.C.M. 1704, 2013 Tax Ct. Memo LEXIS 121 (tax 2013).

2013 T.C. Memo. 119 (Cutler v. Comm'r) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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