Davis v. Comm'r

2005 T.C. Memo. 202, 90 T.C.M. 166, 2005 Tax Ct. Memo LEXIS 203
Procedural entryThis page is a short order in Davis v. Comm'r. Read the opinion of the Court — 89 T.C.M. 1518
United States Tax Court·Decided August 24, 2005·No. No. 6343-04 ·Unpublished

Opinion

GARY R. DAVIS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Davis v. Comm'r
No. 6343-04
United States Tax Court
T.C. Memo 2005-202; 2005 Tax Ct. Memo LEXIS 203; 90 T.C.M. (CCH) 166;
August 24, 2005., Filed
*203 Robert D. Grossman, Jr., for petitioner.
Paul K. Voelker, for respondent.
Laro, David

DAVID LARO

MEMORANDUM OPINION

LARO, Judge: Petitioner moves the Court under section 7430 to award him litigation costs of $ 7,893.75. 1 Respondent objects to this motion, arguing: (1) Petitioner did not exhaust his administrative remedies, (2) respondent's position in this proceeding was substantially justified, and (3) some of the requested costs are unreasonable. We ordered the parties to stipulate the facts underlying this motion, and they have done so. We decide herein whether to grant petitioner's motion. We shall not.

Background

Most facts were stipulated. We incorporate herein by this reference the parties' stipulation of facts and the exhibits submitted therewith. We find the stipulated facts accordingly. Petitioner*204 resided in Las Vegas, Nevada, when his petition was filed with the Court.

For approximately the 13-month period ending in or about October 1999, petitioner and his then wife, Theresa Davis (Davis), owned and resided in a home in Las Vegas at 4302 Callahan Avenue (4302 Callahan). Petitioner and Davis separated at the end of that period, and for approximately the next 2 months, Davis resided at 4302 Callahan, and petitioner resided with relatives. On December 16, 1999, The Gary R. Davis Living Trust, Gary R. Davis Trustee, purchased a house in Las Vegas at 629 Mariola St. (629 Mariola). Petitioner resided at 629 Mariola from approximately December 1999 to approximately April 2003. Petitioner and Davis sold the home at 4302 Callahan on February 23, 2000, for $ 525,000.

On or about April 15, 2001, petitioner filed a 2000 Federal income tax return (2000 return) using the filing status of "Single". Petitioner's 2000 return was prepared by a certified public accountant named Gary Campbell (Campbell). Petitioner's 2000 return reported that petitioner's address was 4302 Callahan and that his total income and taxable income were $ 6,524 and zero, respectively. Petitioner's 2000 return reported*205 that petitioner's total income consisted of taxable interest of $ 939, ordinary dividends of $ 103, business income of $ 93,886 (gross income of $ 208,170 less total expenses of $ 114,284), a capital loss of $ 3,000, taxable individual retirement account (IRA) distributions of $ 3,527, and passthrough losses totaling $ 88,931. Respondent processed petitioner's 2000 return on July 23, 2001.

Respondent received certain information returns relating to petitioner's 2000 return. In relevant part, respondent received: (1)A 2000 Form W-2, Wage and Tax Statement, reporting that petitioner had received wages of $ 165,586 and (2)a 2000 Form 1099-S, Proceeds From Real Estate Transactions, reporting that petitioner had received $ 525,000 from the sale of 4302 Callahan. On October 25, 2002, respondent mailed to petitioner at 4302 Callahan a Letter 2201(DO) (examination notice) stating that petitioner's 2000 return had been selected for examination. 2 The examination notice was an initial contact letter and did not offer petitioner an opportunity to meet with respondent's Office of Appeals (Appeals). One day before mailing the examination notice to petitioner, respondent had checked his computer*206 records for petitioner's address. Those records listed petitioner's address as 629 Mariola. Respondent did not mail an examination notice to petitioner at 629 Mariola.

Petitioner timely filed (pursuant to extensions) a joint 2001 Federal income tax return (2001 return). Petitioner's 2001 return was prepared by Campbell and reported that petitioner's address was 4302 Callahan. Respondent received petitioner's 2001 return on October 21, 2002, and processed it on November 18, 2002.

On April 4, 2003, respondent checked his computer records for petitioner's address. Those records listed petitioner's address as 4302 Callahan. On the same day, respondent mailed a Letter 915(DO) (30-day letter) for 2000 to petitioner at 4302 Callahan. The 30-day letter informed petitioner that he could request a conference with the Appeals Office and was accompanied by two copies of the examination notice. On*207 September 19, 2003, respondent mailed to petitioner at 4302 Callahan a Letter 1912(DO) that was accompanied by another copy of the examination notice. The Letter 1912(DO) stated that respondent's Small Business and Self-Employed Division had reviewed petitioner's 2000 return and detected that respondent had not received petitioner's agreement to the proposed changes. The Letter 1912(DO) stated that petitioner should contact the representative designated on the letter within 10 days or that a notice of deficiency would be issued to petitioner for 2000. The Letter 1912(DO) referenced and was accompanied by a publication that discussed the examination process and petitioner's appeal rights. On November 14, 2003, after not having received a response from petitioner as to the Letter 1912(DO), respondent's district office closed petitioner's case and recommended that a notice of deficiency be issued to petitioner for 2000.

Respondent received petitioner's timely filed (pursuant to extensions) joint 2002 Federal income tax return (2002 return) on October 19, 2003, and processed it on November 24, 2003. Petitioner's 2002 return reported that petitioner's address was in Las Vegas at 912 Sir*208 James Bridge Way (912 Sir James Bridge). Petitioner had purchased 912 Sir James Bridge on April 7, 2003.

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Davis v. Comm'r, 2005 T.C. Memo. 202, 90 T.C.M. 166, 2005 Tax Ct. Memo LEXIS 203 (tax 2005).

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