Fox v. Comm'r

2006 T.C. Memo. 22, 91 T.C.M. 731, 2006 Tax Ct. Memo LEXIS 21
CourtUnited States Tax Court
DecidedFebruary 13, 2006
DocketNo. 8340-03
StatusUnpublished
Cited by15 cases

This text of 2006 T.C. Memo. 22 (Fox v. Comm'r) 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
Fox v. Comm'r, 2006 T.C. Memo. 22, 91 T.C.M. 731, 2006 Tax Ct. Memo LEXIS 21 (tax 2006).

Opinion

TERESA J. FOX, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Fox v. Comm'r
No. 8340-03
United States Tax Court
T.C. Memo 2006-22; 2006 Tax Ct. Memo LEXIS 21; 91 T.C.M. (CCH) 731;
February 13, 2006, Filed
*21 Teresa J. Fox, pro se.
Robert V. Boeshaar, for respondent.
Colvin, John O.

John O. Colvin

MEMORANDUM FINDINGS OF FACT AND OPINION

COLVIN, Judge: Respondent determined petitioner is not entitled to relief from joint and several liability under section 60151 for petitioner's taxable year 2000. We sustain respondent's determination.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found.

A. Petitioner and Her Former Husband

Petitioner resided in Bremerton, Washington, when she filed her petition. Petitioner married Timothy Shattun (Mr. Shattun) in May 1997. Petitioner and Mr. Shattun separated on July 4, 2001, and were divorced on April 22, 2003.

Petitioner graduated from high school and has taken some junior college courses. Petitioner was 42 years old at the time of trial. During 2000, petitioner earned $ *22 32,194 as an administrator at the Kitsap County Fire Marshal's Office in Kitsap County, Washington. At the time of trial, petitioner worked in that department as a program specialist and fire inspector trainee. She has worked in that department for 11 years.

Mr. Shattun graduated from high school and worked as an automotive technician. During 2000, Mr. Shattun received a distribution of $ 21,992 from his section 401(k) retirement plan, Golden Touch Inc. Profit Sharing Plan. On January 17, 2001, Mr. Shattun was arrested by the Bremerton Police Department for assaulting petitioner. Mr. Shattun filed for bankruptcy under chapter 13 on a date not stated in the record and listed the tax deficiency for 2000 as one of his debts.

B. Petitioner and Mr. Shattun's Tax Return for 2000 and Petitioner's Tax Returns for 2002 and 2003

Petitioner and Mr. Shattun worked together to prepare their 2000 joint Form 1040, U.S. Individual Income Tax Return, which they filed on February 11, 2001. They used a well-known brand of tax preparation software. They reported a distribution of $ 21,992 from Mr. Shattun's section 401(k) retirement plan on line 16a of that return. They reported a taxable amount of*23 $ 2,199 on line 16b. Petitioner and Mr. Shattun signed the return electronically.

Petitioner and Mr. Shattun reported a tax liability of $ 5,446 and payments of $ 11,285, and requested a refund of $ 5,839. Respondent determined a deficiency of $ 6,884 for petitioner and Mr. Shattun resulting from the section 401(k) retirement plan distribution. Respondent also determined that petitioner and Mr. Shattun are liable for an accuracy-related penalty of $ 1,377. If petitioner does not qualify for relief under section 6015(f), she will remain liable for tax and penalties totaling $ 8,261 and related interest.

Petitioner filed her 2002 and 2003 Federal income tax returns untimely in August or September 2004. She did not timely pay tax totaling about $ 5,000 for those years. Petitioner agreed with the Internal Revenue Service in the fall of 2004 to pay $ 83 per month for those years, and she has abided by that agreement.

C. Petitioner's Finances

Petitioner's expenses approximated her income in 2004 and 2005. At the time of trial, petitioner's 19-year-old son from a prior relationship lived with her and attended college. Petitioner gives her son significant financial support.

D. Petitioner's*24 Application for Relief From Joint Tax Liability

On September 30, 2004, petitioner sent to respondent a Form 8857, Request for Innocent Spouse Relief, which respondent denied. 2 Petitioner concedes the underlying tax liability, but contends that she is entitled to relief from joint liability under section 6015(f).

OPINION

A. Petitioner's Contentions and Background

Petitioner contends that she qualifies under section 6015(f) for relief from joint liability for tax. This Court has jurisdiction to decide whether a taxpayer is entitled to relief from joint liability under section 6015(f). Sec. 6015(e); Ewing v. Commissioner, 118 T.C. 494, 497-507 (2002), on appeal (9th Cir., June 16, 2004), cross-appeal (9th Cir., July 19, 2004).

A taxpayer qualifies for relief under section 6015(f) if relief is not available under

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Bluebook (online)
2006 T.C. Memo. 22, 91 T.C.M. 731, 2006 Tax Ct. Memo LEXIS 21, Counsel Stack Legal Research, https://law.counselstack.com/opinion/fox-v-commr-tax-2006.