Knauss v. Comm'r

2005 T.C. Memo. 6, 89 T.C.M. 668, 2005 Tax Ct. Memo LEXIS 6
CourtUnited States Tax Court
DecidedJanuary 18, 2005
DocketNos. 12878-01, 7328-02
StatusUnpublished
Cited by8 cases

This text of 2005 T.C. Memo. 6 (Knauss 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
Knauss v. Comm'r, 2005 T.C. Memo. 6, 89 T.C.M. 668, 2005 Tax Ct. Memo LEXIS 6 (tax 2005).

Opinion

WINSTON KNAUSS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Knauss v. Comm'r
Nos. 12878-01, 7328-02
United States Tax Court
T.C. Memo 2005-6; 2005 Tax Ct. Memo LEXIS 6; 89 T.C.M. (CCH) 668;
January 18, 2005, Filed

Decision was entered for respondent.

*6 F. Pen Cosby, for petitioner.
Ronald T. Jordan and Angela J. Kennedy, for respondent.
Gale, Joseph H.

GALE

MEMORANDUM FINDINGS OF FACT AND OPINION

GALE, Judge: By notice of deficiency dated August 10, 2001, respondent determined an income tax deficiency and fraud penalty under section 6663(a)1 with regard to petitioner's 1997 taxable year. By notice of deficiency dated January 23, 2002, respondent determined income tax deficiencies and fraud penalties under section 6663(a) with respect to petitioner's 1991, 1994, 1995, and 1996 taxable years. Petitioner timely petitioned for redetermination with respect to both notices, and the cases covering each were consolidated for trial, briefing, and opinion. The deficiencies and fraud penalties determined were as follows:

                       Penalty

   Year       Deficiency       Sec. 6663(a)    ____       __________        ____________

   1991       $ 4,323          $ 3,242

   1994        88,012           66,009

   1995       182,387  *7         136,790

   1996       173,624          130,218

   1997       185,155          139,616

After concessions, 2 the issues for decision in these cases ("this case") are: (1) Whether petitioner understated gain on the sale of yachts in 1994, 1996, and 1997 by $ 155,848, $ 527,074, and $ 615,119, respectively; (2) whether petitioner understated gain from the sale of real property in 1995 by $ 232,400; (3) whether petitioner had unreported income from his yacht charter business in 1994, 1995, and 1996 of $ 68,350, $ 190,615, and $ 34,544, respectively; (4) whether petitioner failed to report income of $ 92,420, $ 36,000, and $ 13,000 in 1994, 1996, and 1997, respectively, from the settlement of lawsuits; (5) whether petitioner's wholly owned S corporation, Winston*8 Development, Inc., overstated deductions on its 1995 Federal income tax return by $ 54,802; (6) whether there was an underpayment of tax in 1991; and (7) whether the underpayments of tax in 1991, 1994, 1995, 1996, and 1997 were due to fraud.

FINDINGS OF FACT

Some of the facts have been stipulated and are incorporated into our findings by this reference.

Petitioner was a resident of Ft. Lauderdale, Florida, when the petitions were filed.

Petitioner's Background

Petitioner is a high school graduate. He initially held a variety of construction jobs before becoming trained to be a construction project estimator.

In 1968, petitioner started a demolition business that he operated successfully for 20 years. His business interests grew to include apartment*9 buildings, a hotel, and a country club. In 1988, petitioner organized Winston Development, Inc. (WDI), 3 an S corporation, to build and sell condominiums in Indiana. At all relevant times, petitioner owned 100 percent of the stock of WDI.

In the mid-1980s, petitioner also became successfully engaged in the business of chartering yachts for "dinner cruises" in Ft. Lauderdale, Florida. In the 1990s, petitioner had several yachts built. Petitioner would typically use the newly constructed yachts in his charter business and eventually sell them.

Petitioner married Pam Maire in 1993, but they separated in February 1995. They filed for divorce in 1995 but reconciled in June 1996. The couple separated again in 1997 and ultimately were divorced.

In 1996, petitioner was convicted of three*10 counts of felony forgery for forging the signatures of nearby residents to documents indicating they approved of petitioner's application for a liquor license for his country club.

Asset Sales

Wrecking Krew

In 1991, petitioner entered into a fixed-price contract with Marine Builders, Inc., to deliver a completed yacht, built to his specifications, for $ 796,707. On December 20, 1991, the yacht received a certificate of inspection by the U.S. Coast Guard, which is issued only after a vessel is considered ready to carry passengers for hire, and was assigned identification No. D979342. Petitioner took delivery of the yacht the same day and used it in his charter business. The vessel was named the Wrecking Krew. Petitioner paid Marine Builders, Inc., the $ 796,707 contract price for the yacht. Shortly after taking delivery, petitioner paid $ 2,683 to install deck lights.

In 1992, petitioner advised his return preparer that the purchase price of the yacht was $ 833,218.

On January 27, 1994, petitioner sold the Wrecking Krew to Dream USA, Inc., for $ 950,000. 4 At the time of sale, petitioner incurred the following costs: $ 13,068 for lead ballast; $ 1,000 for lead ballast installation; *11 $ 5,563 in architect's fees; and a sales commission of $ 51,000. The sum of the foregoing items, plus the contract price paid to Marine Builders, Inc., and the cost of the deck lights, equaled $ 870,021.

Petitioner reported on his 1994 return that his basis in the Wrecking Krew (plus selling expenses) was $ 1,025,869.

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2005 T.C. Memo. 6, 89 T.C.M. 668, 2005 Tax Ct. Memo LEXIS 6, Counsel Stack Legal Research, https://law.counselstack.com/opinion/knauss-v-commr-tax-2005.