Knittel v. Comm'r

2009 T.C. Memo. 149, 97 T.C.M. 1837, 2009 Tax Ct. Memo LEXIS 149
CourtUnited States Tax Court
DecidedJune 24, 2009
DocketNo. 26118-07
StatusUnpublished

This text of 2009 T.C. Memo. 149 (Knittel 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
Knittel v. Comm'r, 2009 T.C. Memo. 149, 97 T.C.M. 1837, 2009 Tax Ct. Memo LEXIS 149 (tax 2009).

Opinion

EDWARD C. KNITTEL, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Knittel v. Comm'r
No. 26118-07
United States Tax Court
T.C. Memo 2009-149; 2009 Tax Ct. Memo LEXIS 149; 97 T.C.M. (CCH) 1837;
June 24, 2009, Filed
*149
Edward C. Knittel, Pro se.
Beth A. Nunnink, for respondent.
Cohen, Mary Ann

MARY ANN COHEN

MEMORANDUM FINDINGS OF FACT AND OPINION

COHEN, Judge: Respondent determined a deficiency and additions to tax with respect to petitioner's 2003 Federal income tax liability as follows:

*3*Additions to Tax
YearDeficiencySec. 6651(a)(1)Sec. 6651(a)(2)Sec. 665
2003$ 9,283$ 2,088.68$ 1,763.77$ 239.77

The deficiency resulted from the determination that petitioner had income from nonemployee compensation, a taxable pension distribution, and stock sales. After a concession as to the amount of petitioner's income from stock sales, respondent recomputed the amounts in issue as follows:

*3*Additions to Tax
YearDeficiencySec. 6651(a)(1)Sec. 6651(a)(2)Sec. 6654
2003$ 9,007$ 2,027--$ 232

The only bona fide issue for decision is whether a penalty under section 6673 should be awarded to the United States and, if so, how much. All section references are to the Internal Revenue Code.

FINDINGS OF FACT

Some of the facts have been stipulated, and the stipulated facts, to the extent relevant, are incorporated in our findings by this reference. Petitioner resided in Tennessee at the time that he filed his petition.

During 2003, *150 petitioner performed services for H&H Enterprises and was paid $ 32,494 for those services. The services were reported to the Internal Revenue Service (IRS) on Form 1099-MISC, Miscellaneous Income.

During 2003, petitioner received taxable distributions of $ 4,293 and $ 2,649 from the Sheet Metal Workers Local 33 and the Sheet Metal Workers National Pension Fund, respectively. These distributions were reported to the IRS on Forms 1099-R, Distributions From Pensions, Annuities, Retirement or Profit-Sharing Plans, IRAs, Insurance Contracts, etc.

During 2003, petitioner engaged in securities transactions through Scottrade Financial Services. He realized short-term capital gains of $ 1,104.44 on those transactions.

Petitioner was born in Ohio in 1944 and lived in Tennessee beginning in 1995. On or about August 1, 2000, petitioner provided to H&H Enterprises a Form W-8, Certificate of Foreign Status, in which he represented that he was "an exempt foreign person" as defined on that form. That representation was false and was based on petitioner's frivolous position that he was not a person required to pay taxes on his income or to file Federal income tax returns.

Petitioner did not file a Federal *151 income tax return for 2003. The notice of deficiency was based on third-party reports showing petitioner's taxable income.

Petitioner's liability for Federal income tax and additions to tax for 2002 was the subject of his petition in this Court's docket No. 18952-05. On May 21, 2007, the Court rendered an oral opinion in that case. The Court found that petitioner had received taxable income from H&H Enterprises, Sheet Metal Workers Local 33, and Sheet Metal Workers National Pension Fund in 2002.

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Bluebook (online)
2009 T.C. Memo. 149, 97 T.C.M. 1837, 2009 Tax Ct. Memo LEXIS 149, Counsel Stack Legal Research, https://law.counselstack.com/opinion/knittel-v-commr-tax-2009.