Klaassen v. Commissioner

1998 T.C. Memo. 241, 76 T.C.M. 20, 1998 Tax Ct. Memo LEXIS 234
United States Tax Court·Decided July 2, 1998·No. Tax Ct. Dkt. No. 11210-97·Unpublished·Cited by 10 cases

Opinion

DAVID R. AND MARGARET J. KLAASSEN, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Klaassen v. Commissioner
Tax Ct. Dkt. No. 11210-97
United States Tax Court
T.C. Memo 1998-241; 1998 Tax Ct. Memo LEXIS 234; 76 T.C.M. (CCH) 20; T.C.M. (RIA) 98241;
July 2, 1998, Filed
*234

Decision will be entered for respondent as to the deficiency in income tax and for petitioners as to the addition to tax.

Charles J. Graves, for respondent.
David R. Klaassen and Margaret J. Klaassen, pro sese.
ARMEN, SPECIAL TRIAL JUDGE.

ARMEN

MEMORANDUM FINDINGS OF FACT AND OPINION

ARMEN, SPECIAL TRIAL JUDGE: This case was heard pursuant to the provisions of section 7443A(b)(3) and Rules 180, 181, and 182. 1

Respondent determined a deficiency in petitioners' Federal income tax for the taxable year 1994 in the amount of $1,085.43, as well as an addition to tax under section 6654(a) in the amount of $66.36. The deficiency in income tax is solely attributable to the alternative minimum tax prescribed by section 55.

After a concession by respondent, 2 the only issue for decision is whether petitioners are liable for the alternative minimum tax.

FINDINGS OF FACT

Some of the *235facts have been stipulated, and are so found. Petitioners resided in Marquette, Kansas, at the time that their petition was filed with the Court.

Petitioners are husband and wife. Petitioners are also members of the Reformed Presbyterian Church of North America (the Church). Members of the Church are taught that the production of many offspring is a blessing. Accordingly, petitioners are opposed to birth control and abortion.

Petitioners have a large family. In 1994, the taxable year in issue, petitioners had 10 children. Shortly before trial, their 13th child was born. All of petitioners' children qualify as petitioners, dependents within the meaning of section 151(c).

Petitioners timely filed a joint Federal income tax return, Form 1040, for 1994. On their return, petitioners properly claimed a total of 12 exemptions; i.e., two for themselves and 10 for their children. Petitioners reduced their income by the aggregate value of the 12 exemptions, or $29,400. 3

For 1994, petitioners itemized their deductions on Schedule A. Included on Schedule A were deductions for medical and dental expenses in the amount of $4,767.13 and state and *236local taxes in the amount of $3,263.56.

Petitioners neither completed nor attached Form 6251 (Alternative Minimum Tax -- Individuals) to their 1994 income tax return, nor did petitioners report any liability for the alternative minimum tax on line 48 of Form 1040.

In March 1997, respondent issued a notice of deficiency to petitioners for the taxable year 1994. In the notice of deficiency, respondent did not disallow any of the deductions or exemptions claimed by petitioners on their Form 1040 for purposes of the income tax imposed by section 1(a). Rather, respondent determined that petitioners are liable for the alternative minimum tax prescribed by section 55. In computing the alternative minimum tax, respondent conceded that petitioners have no items of tax preference within the meaning of section 57.

Respondent's determination of the alternative minimum tax is based on the following computation and entries from petitioners, income tax return:

I. Individual Income Tax Return -- Form 1040
Adjusted Gross Income
(Form 1040, line 31)$ 83,056.42
Less: Itemized Deductions
(Schedule A)-19,563.95
Balance (Form 1040, Line 35)63,492.47
Less: Exemptions
(Form 1040, Line 36)-29,400.00
Taxable Income
(Form 1040, Line 37)34,092.47
Regular Tax (sec. 1(a))
(Form 1040, Line 38)5,111.00

II. Itemized Expenses -- Schedule A
Medical Expenses
Actual expenses$ 10,996.36
Less: 7.5% AGI-6,229.23
Deductible amo

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Klaassen v. Commissioner, 1998 T.C. Memo. 241, 76 T.C.M. 20, 1998 Tax Ct. Memo LEXIS 234 (tax 1998).

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