Izen v. Comm'r

148 T.C. No. 5, 2017 U.S. Tax Ct. LEXIS 5
United States Tax Court·Decided March 1, 2017·No. Docket No. 28358-12.·Published

Opinion

JOE ALFRED IZEN, JR., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Izen v. Comm'r
Docket No. 28358-12.
United States Tax Court
2017 U.S. Tax Ct. LEXIS 5; 148 T.C. No. 5;
March 1, 2017, Filed

An order will be issued granting respondent's motion for partial summary judgment and denying petitioner's motion for partial summary judgment.

On a Form 1040X, Amended U.S. Individual Income Tax return, for 2010, filed in April 2016, P claimed a charitable contribution deduction of $338,080 for his alleged gift to a charitable organization of an interest in a 40-year-old airplane. On cross-motions for partial summary judgment, R contends that P is not entitled to the claimed deduction because P failed to satisfy the substantiation requirements of I.R.C. sec. 170(f)(12), which applies to "contributions of used motor vehicles, boats, and airplanes." Under para. (12), no deduction is allowed for contributions of vehicles whose claimed value exceeds $500 unless the taxpayer: (1) substantiates the contribution by a contemporaneous written acknowledgment from the donee organization meeting the requirements of I.R.C. sec. 170(f)(12)(B); and (2) "includes the acknowledgment with the taxpayer's return of tax which includes the deduction." I.R.C. sec. 170(f)(12)(A)(i).

1. Held: P failed to satisfy the statutory substantiation requirements because he did not include with his amended 2010 return a contemporaneous written acknowledgment that complied with I.R.C. sec. 170(f)(12)(B).

2. Held, further, P is not entitled to the charitable contribution deduction claimed on his amended 2010 return.

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Izen v. Comm'r, 148 T.C. No. 5, 2017 U.S. Tax Ct. LEXIS 5 (tax 2017).

148 T.C. No. 5 (Izen v. Comm'r) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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