Harris v. Comm'r

2012 T.C. Memo. 312, 104 T.C.M. 554, 2012 Tax Ct. Memo LEXIS 315
Procedural entryThis page is a short order in Harris v. Comm'r. Read the opinion of the Court — 104 T.C.M. 372
United States Tax Court·Decided November 7, 2012·No. Docket No. 13304-11·Unpublished

Opinion

EDDIE W. HARRIS, JR., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Harris v. Comm'r
Docket No. 13304-11
United States Tax Court
T.C. Memo 2012-312; 2012 Tax Ct. Memo LEXIS 315; 104 T.C.M. (CCH) 554;
November 7, 2012, Filed
*315

Decision will be entered for respondent.

Eddie W. Harris, Jr., Pro se.
Timothy B. Heavner and Matthew S. Reddington, for respondent.
THORNTON, Chief Judge.

THORNTON
MEMORANDUM FINDINGS OF FACT AND OPINION

THORNTON, Chief Judge: Respondent determined a $9,075 deficiency in petitioner's 2008 Federal income tax and additions to tax of $1,939, $905, and *313 $275 under sections 6651(a)(1) and (2) and 6654(a), respectively. 1 The issues for decision are: (1) whether petitioner must include in gross income all of the unemployment compensation that he received during 2008; (2) whether petitioner may deduct any unreimbursed employee traveling expenses for 2008; and (3) whether petitioner is liable for the additions to tax.

FINDINGS OF FACT

The parties have stipulated some facts, which we find accordingly. When he petitioned the Court, petitioner resided in Virginia.

During 2008 petitioner received wages from these employers as reported to the Internal *316 Revenue Service (IRS): $22,863 from Forest Electric Corp. (Forest), $5,848 from Dynalectric Co. (Dynalectric), $14,142 from Chewning & Wilmer, Inc. (Chewning), $1,940 from Tate & Hill, Inc., and $7,633 from Miller Electric Co. Additionally, during 2008 petitioner received $308 of interest income from Wachovia Bank, N.A., and $7,137 of unemployment compensation from the Virginia Employment Commission.

*314 At various times throughout 2008 petitioner traveled to job locations in New Jersey, Maryland, and Virginia for his work with Forest, Dynalectric, and Chewning, respectively.

Petitioner filed no Federal income tax return for 2008. Respondent prepared a substitute for return (SFR) pursuant to section 6020(b). In the notice of deficiency respondent determined that petitioner had unreported income in the amounts described above.

OPINIONI. Burden of Proof

Generally, the Commissioner's determinations in a notice of deficiency are presumed correct, and the taxpayer has the burden of proving that they are in error. Rule 142(a); Welch v. Helvering, 290 U.S. 111, 115, 54 S. Ct. 8, 78 L. Ed. 212, 1933-2 C.B. 112 (1933). Because, as discussed below, petitioner has not complied with the Code's substantiation requirements and has not maintained *317 all required records, the burden of proof as to any relevant factual issue does not shift to respondent under section 7491(a). Seesec. 7491(a)(1) and (2); Higbee v. Comm'r, 116 T.C. 438, 442-443 (2001).

II. Unemployment Compensation

Petitioner does not dispute receiving wages, interest income, and unemployment compensation from third-party payers as reported to the IRS. He *315 contends, however, that $2,500 of his unemployment compensation should be exempt from income tax. Petitioner is mistaken.

Gross income includes an individual's unemployment compensation. Sec. 85(a). Although a special rule provides a $2,400 exclusion for unemployment compensation for taxable years beginning in 2009, seesec. 85(c)

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Harris v. Comm'r, 2012 T.C. Memo. 312, 104 T.C.M. 554, 2012 Tax Ct. Memo LEXIS 315 (tax 2012).

2012 T.C. Memo. 312 (Harris v. Comm'r) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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