David Muresan Scientific Research Foundation v. Commissioner

2018 T.C. Memo. 13
CourtUnited States Tax Court
DecidedFebruary 5, 2018
Docket11943-14X
StatusUnpublished

This text of 2018 T.C. Memo. 13 (David Muresan Scientific Research Foundation 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
David Muresan Scientific Research Foundation v. Commissioner, 2018 T.C. Memo. 13 (tax 2018).

Opinion

T.C. Memo. 2018-13

UNITED STATES TAX COURT

DAVID MURESAN SCIENTIFIC RESEARCH FOUNDATION, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent

Docket No. 11943-14X. Filed February 5, 2018.

David Muresan (an officer), for petitioner.

Mark A. Weiner, for respondent.

MEMORANDUM OPINION

ASHFORD, Judge: The Internal Revenue Service (IRS or respondent)

determined that petitioner is not exempt from Federal income tax under section

501(a) because it is not an organization described in section 501(c)(3).1 Petitioner

1 Unless otherwise indicated, all section references are to the Internal (continued...) -2-

[*2] challenged that determination by timely filing a petition for declaratory

judgment with the Court pursuant to section 7428(a). The parties filed with the

Court the entire administrative record and submitted this case for decision without

trial in accordance with Rule 217(b)(1) and (2). See also Rule 122. For purposes

of this proceeding, the facts and representations contained in the administrative

record are accepted as true, see Rule 217(b)(1), and are incorporated herein by this

reference. Petitioner bears the burden of proving that the IRS’ determination is

incorrect. See Rule 142(a); Calhoun Acad. v. Commissioner, 94 T.C. 284, 295

(1990).

Background

At the time the petition was filed, petitioner’s principal place of business

was in Washington.

I. David Muresan and Petitioner

Petitioner is a nonprofit corporation organized in the State of Washington

on July 18, 2011. Petitioner was incorporated by David Muresan and at all

relevant times he was petitioner’s sole officer and director.

1 (...continued) Revenue Code in effect at all relevant times, and all Rule references are to the Tax Court Rules of Practice and Procedure. -3-

[*3] Mr. Muresan emigrated to the United States from Romania in 1988. He

claims to be a self-employed long-term caregiver and home builder, as well as a

commercial truck driver. In the past, he has worked as an electrician and a

computer technician in Seattle, Washington; as a custodian in a California high

school; and while in Romania, as a self-employed electronics repairman, a high

school teacher, a design engineer, and a mechanic in a steam locomotive factory.

Mr. Muresan also holds himself out as a prolific inventor who has obtained

patents in Romania for two of his inventions in electric motors and patents in the

United States for four of his inventions in computer electronics, lighting, computer

hardware, and digital pictures. He claims he has another eight ideas to be

patented. For example, in this regard, he has developed various theories regarding

the role of body temperature in human health and physiology. He believes that

human cells are at greater risk when their temperature decreases and that

dissipation of body heat is a key cause of many illnesses, and therefore he has

developed a way of insulating the human body so that the body’s immune system

will cure diseases. However, he has been unsuccessful in convincing medical

professionals of his views and marketing his ideas and inventions to established

companies. Consequently, he incorporated petitioner as, in part, a vehicle for

promoting and marketing his ideas and inventions. -4-

[*4] Petitioner’s bylaws2 provide in pertinent part:

ARTICLE II Non-Profit Operation 2.1 The purpose for which the DMMD Foundation is formed is exclusively for scientific research and other similar nonprofit purposes, as contemplated by Section 501(c)(3) of the Internal Revenue Code of 1986

ARTICLE III Purposes and Mission 3.1 Purpose. The DMMD Foundation is dedicated to: invent, develop prototypes, software development, and scholarship grants.

3.2 Mission. The mission of David Muresan Scientific- Research Foundation (DMMD Foundation) is:.

Foundation’s Mission.

Part A) Technology Side. (about 20%) 1) Patent new ideas. This includes David Muresan’s ideas and other people ideas. Specific, David Muresan will instruct prospective inventor how to apply for a patent.

2) Build prototypes of existing inventions. David Muresan will use the corporation facility and his technology skill to transform ideas in products. David will build his car engine without pollution which recently was rejected by German company Volkswagen and Ford Company. David will build his new idea about a bicycle and more. Once the prototypes will work we will not use anymore foundation money.

2 There are two versions of petitioner’s bylaws in the administrative record. One, apparently earlier, version submitted to the IRS incorrectly identifies, inter alia, petitioner as Sakai Foundation with offices in Ann Arbor, Michigan and states that membership meetings shall be held to coincide with Sakai conferences and that the bylaws are subject to interpretation under Michigan law. The other, apparently later, version does not include any references to Sakai. -5-

[*5] 3) Expose his achievements to public. That will include a museum in his foundation facility where David Muresan will be presented his and other inventions and prototypes built so far.

Part B) Software Side. (about 10%) 1) Develop Software. This includes the new software ideas to meet the new exigencies in digital pictures. The base will be David Muresan invention about Digital pictures smoothing.

Part C) Human Health Side. (about 70%) 1) Explanation of Human Health Problems. This will use David Muresan ideas about Human Health to find the mechanism of illnesses and to have a scientific explanation.

2) New Approach for Cure of Illnesses. This will use the conclusions of the above analysis to propose a practical solution to cure illnesses. The observation made by David Muresan so far is enough to proof his ideas beyond a reasonable doubt.

3) Specific Application of health ideas. These new ideas will be used in different health problems such as: Autism, Cancer, MS, Brain Development, Infertility, Impotence, Depression, Pains, Aging, and so on.

4) Grants for Research of this new idea to cure illnesses based on the immune system enhancement. Foundation will give grants to student in health, nurses and doctors to collect information from science books and observations to enrich and expand the scientific idea to let the immune system to fight infection. The results may change deep the actual practice of bypassing the immune system by medication only.

ARTICLE IV Qualification and Application for Membership 4.1 Membership in DMMD. Any academic and research organizations and commercial organizations and institutions with programs and missions consistent with the purposes of dmmd as set forth in Articles II and III and may include colleges and universities, -6-

[*6] research and development centers, membership organizations, and other nonprofit organizations, provided that applications for membership must show that the organization: has goals and purposes consistent with the goals and purposes of the dmmd Foundation. A specific contract will be made with any organization wanting to work with dmmd foundation. [All errors in original.]

II. Administrative Proceedings

A. Petitioner’s Application for Exemption

On August 24, 2011, petitioner submitted to the IRS Form 1023,

Application for Recognition of Exemption Under Section 501(c)(3) of the Internal

Revenue Code, which Mr. Muresan signed. In the Form 1023 petitioner classified

itself as a “private foundation”, an organization engaging in “economic

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