Hollingsworth v. Comm'r

2010 T.C. Memo. 262, 100 T.C.M. 485, 2010 Tax Ct. Memo LEXIS 299
CourtUnited States Tax Court
DecidedDecember 2, 2010
DocketDocket No. 3131-09
StatusUnpublished

This text of 2010 T.C. Memo. 262 (Hollingsworth 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
Hollingsworth v. Comm'r, 2010 T.C. Memo. 262, 100 T.C.M. 485, 2010 Tax Ct. Memo LEXIS 299 (tax 2010).

Opinion

HAL HOLLINGSWORTH, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Hollingsworth v. Comm'r
Docket No. 3131-09
United States Tax Court
T.C. Memo 2010-262; 2010 Tax Ct. Memo LEXIS 299; 100 T.C.M. (CCH) 485;
December 2, 2010, Filed
*299

Decision will be entered under Rule 155.

R determined a deficiency in income tax and a penalty under sec. 6662, I.R.C., for P's 2005 tax year that were based on P's failure to include certain receipts in income and the disallowance of certain deductions.

Held: R's determinations are sustained.

Hal Hollingsworth, Pro se.
Karen Lapekas and Michelle M. Robles, for respondent.
WHERRY, Judge.

WHERRY
MEMORANDUM FINDINGS OF FACT AND OPINION

WHERRY, Judge: This case is before the Court on a petition for redetermination of respondent's determination in a notice of deficiency that petitioner owed an income tax deficiency and a section 6662 penalty for his 2005 tax year. 1 After concessions by the parties, 2*300 the issues for determination are:

(1) Whether petitioner's distributions from his section 401(k) retirement savings account are taxable;

(2) whether petitioner received self-employment income in 2005;

(3) whether petitioner is entitled to a deduction for expenses claimed on Schedule C, Profit or Loss From Business;

(4) whether petitioner is entitled to a deduction claimed on Schedule A, Itemized Deductions, for charitable contributions within the meaning of section 170; and

(5) whether petitioner is liable for an accuracy-related penalty under section 6662(a).

FINDINGS OF FACT

Some of the facts have been stipulated. The stipulated facts, with accompanying exhibits, are hereby incorporated by this reference. At the time his petition was filed, petitioner resided in Miami, Florida.

In 2004, after losing his job, petitioner moved from New York to Miami. 3*301 Petitioner moved to Miami in order "to try to put things back together again".

When petitioner first moved to Miami, he lived with his sister, Maria Sherrer (Ms. Sherrer). Although he would occasionally make contributions to household expenses, petitioner did not pay Ms. Sherrer any rent. Petitioner also sometimes helped Ms. Sherrer at her business, Sherrer and Sherrer Accounting and Tax Preparation Services, doing minor tasks such as filing, helping with advertising, inputting numbers into a computer, and taking basic information from Ms. Sherrer's clients. Petitioner was not compensated for his work at Ms. Sherrer's business.

After moving to Miami, petitioner became involved in the Out of the Ashes Foundation, Inc. (foundation), a charitable organization that works with inner-city children. During 2005 petitioner was a member, director, and employee of the foundation. Ms. Sherrer was president of the foundation. Petitioner donated small amounts of cash to the foundation throughout 2005 but kept no records of these contributions.

Petitioner explained that in approximately July 2005 he started a multifaceted business called Xcluseif, *302 Inc., which was incorporated during the 2005 tax year but has since been dissolved. 4 We take judicial notice of the Florida Department of State Division of Corporations' Web site, which reports that the articles of incorporation for Xcluseif were filed on July 19, 2005, and that Xcluseif was administratively dissolved for failing to file an annual report on September 15, 2006. 5

Petitioner attempted to get a "Tax ID number" for Xcluseif but did not succeed. 6 Petitioner intended to operate various businesses through Xcluseif including putting drink *303 machines at various locations, providing a UPS shipping center, selling things on eBay, and tutoring.

When petitioner first started Xcluseif, he was still living with Ms. Sherrer and performed most of the work for Xcluseif on his computer at Ms. Sherrer's house. Ms. Sherrer explained that petitioner eventually opened an outlet for Xcluseif on Biscayne.

Petitioner paid the expenses attributable to Xcluseif out of his personal account and with his personal credit cards. While petitioner claimed that he kept records of these expenses, he did not provide this Court with any of the records, stating at trial that he was unaware that they were requested or that Xcluseif was being audited.

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2010 T.C. Memo. 262, 100 T.C.M. 485, 2010 Tax Ct. Memo LEXIS 299, Counsel Stack Legal Research, https://law.counselstack.com/opinion/hollingsworth-v-commr-tax-2010.