HOLLINGSWORTH v. COMMISSIONER

2001 T.C. Summary Opinion 177, 2001 Tax Ct. Summary LEXIS 107
United States Tax Court·Decided November 26, 2001·No. No. 2003-01S·Unpublished

Opinion

CRAIG D. HOLLINGSWORTH, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
HOLLINGSWORTH v. COMMISSIONER
No. 2003-01S
United States Tax Court
T.C. Summary Opinion 2001-177; 2001 Tax Ct. Summary LEXIS 107;
November 26, 2001, Filed

*107 PURSUANT TO INTERNAL REVENUE CODE SECTION 7463(b), THIS OPINION MAY NOT BE TREATED AS PRECEDENT FOR ANY OTHER CASE.

Craig D. Hollingsworth, pro se.
   Trent D. Usitalo, for respondent.
Armen, Robert N., Jr.

Armen, Robert N., Jr.

ARMEN, Special Trial Judge: This case was heard pursuant to the provisions of section 7463 of the Internal Revenue Code in effect at the time that the petition was filed.1 The decision to be entered is not reviewable by any other court, and this opinion should not be cited as authority.

Respondent determined a deficiency in, and an addition to tax under section 6651(a)(1) to, petitioner's Federal income tax for 1998 in the amounts of $ 5,505 and $ 273, respectively.

The issues for decision are as follows:

(1) Whether*108 petitioner is entitled to the deductions claimed by him on his Schedule C. We hold that he is not.

(2) Whether petitioner is liable for an addition to tax under section 6651(a)(1). The resolution of this issue turns on whether petitioner timely filed his income tax return for the year in issue. We hold that he did; accordingly, he is not liable for the addition to tax.

The amount of petitioner's liability for self-employment tax and the amount of the deduction under section 164(f) to which petitioner is entitled are computational matters, the resolution of which will depend on our disposition of the first of the two issues enumerated above.

Background

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

At the time that the petition was filed, petitioner resided in Ceres, California.

A. Petitioner's 1998 Income Tax Return

Petitioner filed Form 1040, U.S. Individual Income Tax Return, for 1998. Petitioner attached to his return Schedule C, Profit or Loss From Business. Petitioner described his business on his Schedule C as a part-time real estate loan officer. Petitioner reported income and claimed expenses on his Schedule C as follows:

Income

   Gross receipts*109                   $ 22,331

   Less: Cost of Goods Sold                ---

                            _______

   Gross profit/ gross income              22,331

Expenses

   Advertising              $ 3,538

   Car & truck expenses          4,614

   Insurance                 928

   Legal & professional services      3,540

   Office expense             3,654

   Repairs & maintenance           678

   Supplies                 593

   Taxes & licenses             472

   Utilities & telephone          1,669      19,686

                     ______      ______

Net profit                         2,645

                             ======

Petitioner also attached*110 to his 1998 income tax return Schedule SE, Self-Employment Tax, and reported self-employment tax in the amount of $ 374. Petitioner claimed a deduction for one-half of this amount, or $ 187, on page 1 of his Form 1040. See sec. 164(f).

Petitioner dated his 1998 income tax return "8n1499" and mailed it to respondent's service center in Fresno, California. The envelope in which petitioner mailed his return bears a U.S. Postal Service postmark date of August 16, 1999. Petitioner's return was received by respondent's service center 2 days later, on August 18, 1999.

Petitioner filed his 1998 income tax return pursuant to Form 4868, Application for Automatic Extension of Time To File U.S. Individual Income Tax Return. This form served to extend by 4 months the time within which petitioner was obliged to file his 1998 income tax return.

B. Examination of Petitioner's 1998 Income Tax Return

In due course, petitioner's 1998 income tax return was selected for examination. The focus of the examination was the deductions claimed by petitioner on his Schedule C. However, petitioner "declined to open [his] books and records" or otherwise provide substantiation for any of the deductions in*111 question. Thereafter, respondent disallowed petitioner's Schedule C deductions for lack of substantiation. Respondent also determined that petitioner failed to timely file his 1998 return.

Discussion

A. Petitioner's Schedule C Deductions

We begin with several fundamental principles that serve to guide the decisional process.

First, deductions are a matter of legislative grace. Deputy v. duPont, 308 U.S. 488, 493 (1940); New Colonial Ice Co. v. Helvering, 292 U.S. 435, 440 (1934).

Second, a taxpayer bears the burden of proving that the taxpayer is entitled to any deduction claimed. Rule 142(a); INDOPCO, Inc. v.

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