Guice v. Commissioner

1994 T.C. Memo. 521, 68 T.C.M. 969, 1994 Tax Ct. Memo LEXIS 529
CourtUnited States Tax Court
DecidedOctober 18, 1994
DocketDocket No. 27561-92
StatusUnpublished

This text of 1994 T.C. Memo. 521 (Guice 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
Guice v. Commissioner, 1994 T.C. Memo. 521, 68 T.C.M. 969, 1994 Tax Ct. Memo LEXIS 529 (tax 1994).

Opinion

LEE JAMES GUICE, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Guice v. Commissioner
Docket No. 27561-92
United States Tax Court
T.C. Memo 1994-521; 1994 Tax Ct. Memo LEXIS 529; 68 T.C.M. (CCH) 969;
October 18, 1994, Filed

*529 Decision will be entered under Rule 155.

Lee James Guice, pro se.
For respondent: Susan Smith Canavello.
POWELL

POWELL

MEMORANDUM FINDINGS OF FACT AND OPINION

POWELL, Special Trial Judge: This case was assigned pursuant to the provisions of section 7443A(b)(3) and Rules 180, 181, and 182. 1

By notice of deficiency dated November 20, 1992, respondent determined a deficiency in petitioner's 1988 Federal income tax and additions to tax under sections 6651(a)(1), 6653(a)(1), and 6661(a) in the respective amounts of $ 5,849, $ 222.40, $ 363.15, and $ 1,462. Petitioner resided in Metairie, Louisiana, at the time he filed his timely petition.

After concessions, 2 the issues are (1) whether petitioner is entitled to a capital loss in the amount of $ 16,873; (2) whether petitioner is entitled to a business loss (Schedule C) in the *530 amount of $ 2,100; (3) whether petitioner is entitled to miscellaneous deductions in the amount of $ 5,695; and (4) whether the additions to tax are applicable.

FINDINGS OF FACT

The facts may be summarized as follows. During 1988 petitioner was employed as a school teacher in the Orleans Parish school system and also by Delta College, Inc. Petitioner drove between the Orleans Parish school in east New Orleans and Delta College in Baton Rouge. Petitioner was also seeking other employment at the university level and traveled to St. Louis, Missouri, and Tampa, Florida, during 1988. On his 1988 Federal income tax return petitioner deducted $ 2,748 and $ 3,351 for unreimbursed employee expenses for travel between New Orleans and Baton Rouge and for "job seeking expenses", respectively. Petitioner does not have any records substantiating this travel and *531 the expenses related thereto. Respondent disallowed the deductions in full.

The scenario giving rise to the business and capital losses seems to have been scripted by Jimmy Breslin. Petitioner and one Angelo Pavone (Pavone) entered into some type of an arrangement where they would take over a barbershop business from Stephanie and David Michel (the Michels). Petitioner and Pavone planned to operate a "beauty shop and a cosmetology school." There was no written agreement between petitioner and Pavone. Apparently Pavone was to run the business. Petitioner was to finance the business and "do all the federal guideline works of being able to get federal funding for the students, which was the most important thing for the project." Petitioner paid the Michels $ 8,000. There was no written contract of sale and no written lease. Petitioner allegedly paid $ 2,100 for supplies. Petitioner has no records reflecting the purchase of those supplies.

The business was located in the Student Union Building of Loyola University. The building was managed by a Mr. Miller. A short time after the Michels left, Mr. Miller called petitioner on a Friday and told him that Pavone had a criminal record, *532 and that he and petitioner had to vacate the Student Union Building. When petitioner went to the Student Union Building on the following Tuesday, the Michels had moved back in and were operating the business. Petitioner could not find any of the supplies, and Pavone had disappeared. Petitioner did not report the missing supplies to the police.

On May 15, 1989, petitioner and the Michels entered into a written settlement agreement that recited that petitioner had paid the Michels $ 8,000 for the business and that the sale had never been consummated. The agreement further provided that the Michels would pay $ 7,000 to petitioner. This is the only document that corroborates petitioner's version of the events.

On his 1988 return, petitioner deducted $ 2,100 on a Schedule C. This represents the amount allegedly paid for the supplies. Petitioner also deducted $ 16,873 as an ordinary loss on the sale of a business. Petitioner has no records to establish the items that were contained in this figure, other than the settlement agreement reflecting that he paid the Michels $ 8,000. Respondent disallowed the claimed deductions in full.

Petitioner filed his 1988 return with the Memphis*533 Service Center on August 10, 1989. The return was due to be filed on April 16, 1989. The return shows that it was prepared by Econotax of Louisiana, Inc. on February 23, 1989. Petitioner did not obtain an extension of time for filing his return and offered no explanation as to why his return was filed late.

OPINION

1. Deficiency

Petitioner deducted $ 5,695 as miscellaneous expenses for travel to and from New Orleans and travel incurred in seeking a new job. Under section 162(a) a taxpayer may deduct ordinary and necessary business expenses. When expenses relating to travel are involved, however, section 274(d) provides that the expenses are not deductible

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Cite This Page — Counsel Stack

Bluebook (online)
1994 T.C. Memo. 521, 68 T.C.M. 969, 1994 Tax Ct. Memo LEXIS 529, Counsel Stack Legal Research, https://law.counselstack.com/opinion/guice-v-commissioner-tax-1994.