DiFronzo v. Commissioner

1998 T.C. Memo. 41, 75 T.C.M. 1693, 1998 Tax Ct. Memo LEXIS 41
CourtUnited States Tax Court
DecidedFebruary 4, 1998
DocketTax Ct. Dkt. No. 18476-96
StatusUnpublished

This text of 1998 T.C. Memo. 41 (DiFronzo 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
DiFronzo v. Commissioner, 1998 T.C. Memo. 41, 75 T.C.M. 1693, 1998 Tax Ct. Memo LEXIS 41 (tax 1998).

Opinion

JOHN DIFRONZO, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
DiFronzo v. Commissioner
Tax Ct. Dkt. No. 18476-96
United States Tax Court
T.C. Memo 1998-41; 1998 Tax Ct. Memo LEXIS 41; 75 T.C.M. (CCH) 1693;
February 4, 1998, Filed

*41 Decision will be entered under Rule 155.

Carl M. Walsh, for petitioner.
Warren M. Joseph, for respondent.
RAUM, JUDGE.

RAUM

MEMORANDUM OPINION

RAUM, JUDGE: The Commissioner determined a $31,635 deficiency in petitioner's 1993 Federal income taxes. There are two issues for consideration: (1) Whether petitioner properly substantiated payment of*42 $125,000 in legal fees to his attorney, and (2) whether those fees, which were paid to defend petitioner, unsuccessfully, against charges of conspiracy and mail and wire fraud, are, to the extent substantiated, deductible as ordinary and necessary business expenses under section 162(a). 1 This case was submitted on the basis of a stipulation of facts.

Petitioner, John DiFronzo, resided in River Grove, Illinois, when the petition in this case was filed. On January 9, 1992, petitioner was indicted by the Grand Jury in the United States District Court for the Southern District of California, Criminal Case No. 92-0026 E. He was charged with a variety of federal offenses, including mail and wire fraud, and conspiracy to commit mail and wire fraud.

The indictment generally alleged that petitioner and other members of the Chicago organized crime family planned to contract with the Rincon Band of Mission Indians to control gambling operations on the Rincon Indian Reservation. The defendants*43 meant to conceal that the money they invested came from the Chicago organized crime family. The defendants intended to structure the operation so as to maximize their profits. They intended to skim profits from the operation without the knowledge of the Rincon Indians. They also intended to use the operation to launder the proceeds from other illegal enterprises of the Chicago organized crime family.

Petitioner was found guilty of conspiracy and substantive counts of mail and wire fraud. On May 25, 1993, he was sentenced to 37 months' imprisonment, a $10,000 fine, and a $200 special assessment. Petitioner subsequently filed an appeal with the Court of Appeals for the Ninth Circuit. On May 24, 1994, the Ninth Circuit affirmed petitioner's conviction but reversed the sentence and remanded for resentencing. On July 18, 1994, petitioner was resentenced to 16 months' imprisonment, a $10,000 fine, and a $200 special assessment.

On his 1993 Individual Income Tax Return, petitioner took a deduction of $125,000 for "Legal fees incurred in the defense of indictment no CR92-62-WBE in the United States District Court for the Southern District of California in which taxpayer*44 was convicted of mail fraud. Deduction pursuant to IRC section 162 and Commissioner v. Tellier 383 U.S. 687 (1966)." Petitioner's filing status was married filing separate. On May 28, 1996, the Commissioner issued a notice of deficiency to petitioner disallowing the $125,000 deduction.2

1. SUBSTANTIATION

Petitioner deducted $125,000 in legal fees on his 1993 return. His substantiation consists of three sets of documents. First, there is a cashier's check for $50,000 made out to Carl M. Walsh and remitted by John DiFronzo. The check is dated January 18, 1993. With it is a deposit slip for Carl M. Walsh dated January 25, 1993. Among the checks listed for deposit is one for $50,000.

Second, there is a check for $25,000 from RoseMary DiFronzo made payable to Carl M. Walsh. That check is dated April 9, 1993 and is payable from the account of RoseMary DiFronzo. On April 12, *45 1993, a deposit was made on behalf of Carl M. Walsh. Included in that deposit was a check for $25,000. Third, there is a deposit slip from Carl M. Walsh dated May 11, 1993. Only one check is listed, for $50,000. The deposit slip is accompanied by two check stubs from the register of Carl M. Walsh. Beside check stub 535, dated May 15, 1993, there is a notation under deposits "5/11/93 DiFronzo 50,000".

Section 162(a) allows as a deduction "all the ordinary and necessary expenses paid or incurred during the taxable year in carrying on a trade or business". For a deduction for legal expenses, the taxpayer must also prove that he paid for the services performed for him. Lussy v. Commissioner, T.C. Memo. 1995-393, affd. without published opinion 114 F.3d 1201 (11th Cir. 1997). Petitioner's filing status is married filing separate. As a result, he must demonstrate that he alone made all of the payments.

Here, there is no evidence that the $25,000 check signed by RoseMary DiFronzo was from any source other than her. There is also nothing in the record indicating that petitioner paid the second $50,000. The deposit ticket*46

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Related

Commissioner v. Sullivan
356 U.S. 27 (Supreme Court, 1958)
United States v. Gilmore
372 U.S. 39 (Supreme Court, 1963)
Commissioner v. Tellier
383 U.S. 687 (Supreme Court, 1966)
Tippin v. Commissioner
104 T.C. No. 26 (U.S. Tax Court, 1995)
Hawronsky v. Commissioner
105 T.C. No. 8 (U.S. Tax Court, 1995)
O'Malley v. Commissioner
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Brizell v. Commissioner
93 T.C. No. 16 (U.S. Tax Court, 1989)
Accardo v. Commissioner
94 T.C. No. 8 (U.S. Tax Court, 1990)
Lussy v. Commissioner
1995 T.C. Memo. 393 (U.S. Tax Court, 1995)

Cite This Page — Counsel Stack

Bluebook (online)
1998 T.C. Memo. 41, 75 T.C.M. 1693, 1998 Tax Ct. Memo LEXIS 41, Counsel Stack Legal Research, https://law.counselstack.com/opinion/difronzo-v-commissioner-tax-1998.