Kunkel v. Comm'r

2015 T.C. Memo. 71, 109 T.C.M. 1379, 2015 Tax Ct. Memo LEXIS 77
CourtUnited States Tax Court
DecidedApril 8, 2015
DocketDocket No. 21982-13.
StatusUnpublished
Cited by1 cases

This text of 2015 T.C. Memo. 71 (Kunkel 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
Kunkel v. Comm'r, 2015 T.C. Memo. 71, 109 T.C.M. 1379, 2015 Tax Ct. Memo LEXIS 77 (tax 2015).

Opinion

KENNETH JAMES KUNKEL AND SUSAN KATHRYN KUNKEL, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Kunkel v. Comm'r
Docket No. 21982-13.
United States Tax Court
T.C. Memo 2015-71; 2015 Tax Ct. Memo LEXIS 77; 109 T.C.M. (CCH) 1379;
April 8, 2015, Filed

Decision will be entered for respondent.

*77 Kenneth James Kunkel and Susan Kathryn Kunkel, Pro se.
Ina Susan Weiner and Kirsten E. Brimer, for respondent.
LAUBER, Judge.

LAUBER
MEMORANDUM FINDINGS OF FACT AND OPINION

LAUBER, Judge: The Internal Revenue Service (IRS or respondent) determined for petitioners' 2011 taxable year a deficiency of $12,338 and an accuracy-related penalty of $2,468. The issues for decision are: (1) whether petitioners are entitled to a charitable contribution deduction in an amount larger than the IRS allowed; *72 and (2) whether petitioners are liable for the section 6662(a) penalty.1 We resolve both issues in favor of respondent.

FINDINGS OF FACT

The parties filed a stipulation of facts with accompanying exhibits that are incorporated by this reference. Petitioners resided in Pennsylvania when they petitioned this Court.

On Schedule A, Itemized Deductions, of their timely filed 2011 Federal income tax return, petitioners claimed a charitable contribution deduction of $42,455. Of this amount, $5,140 represented*78 alleged cash contributions. The IRS determined that petitioners had substantiated $4,840 of cash contributions; petitioners do not dispute the disallowance of the remaining $300. This case focuses on petitioners' claimed deduction of $37,315 for noncash charitable contributions, which the IRS disallowed in its entirety.

Petitioners contend that they donated property during 2011 to four charitable organizations: the Upper Dublin Lutheran Church (Church), Goodwill Industries (Goodwill), the Military Order of the Purple Heart Service Foundation (Purple Heart), and Vietnam Veterans of America (Vietnam Veterans). Petitioners' *73 noncash contributions to the Church consisted of items they allegedly donated to its 2011 annual flea market. These items included books valued at $8,000, household items valued at $1,303, clothing valued at $1,000, toys valued at $822, telescopes valued at $800, jewelry valued at $780, and household furniture valued at $410, for a total of $13,115.

Petitioners did not produce a receipt or an acknowledgment from the Church for their donations of any of these items. The Church was evidently equipped to provide such receipts, because petitioners claimed to have a receipt*79 from the Church for their contributions to the 2012 flea market. Petitioners produced no evidence, such as photographs, that any of the listed items were actually delivered to the Church. The Church did not inform petitioners whether any of the items allegedly contributed were sold or at what price.

Petitioners' noncash contributions to Goodwill, Purple Heart, and Vietnam Veterans allegedly consisted of clothing valued at $20,920, household furniture valued at $2,680, household items valued at $350, and toys valued at $250, for a total of $24,200. Petitioners produced no documentary evidence, and had no recollection, as to which items were donated to which charity. They produced a spreadsheet, created during the IRS audit, that listed various items--e.g., 67 blouses, 45 dresses, 70 dress shirts, 22 dress coats, and 100 baby outfits--and *74 assigned "estimated amounts" as the fair market values of these items. Petitioners contended that these items, in the aggregate, were divided in some manner among the three charities.

For Goodwill, petitioners testified that they took batches of items at various times to a Goodwill location. They generally made these trips in the early morning or evening,*80 when the Goodwill warehouse was unattended. They placed soft goods in large bins intended for after-hours dropoffs. They left large items, such as furniture, outside the warehouse door. Petitioners testified that they were careful to ensure that the items in each batch were worth less than $250 because they thought this eliminated the need to get receipts.

For Purple Heart and Vietnam Veterans, petitioners allegedly scheduled a pickup and left the items outside their house. The charity sent a truck to pick up the items, generally while petitioners were away, and usually left a doorknob hanger saying, "Thank you for your contribution." These doorknob hangers contained no other information. They were undated; they were not specific to petitioners; and they did not list or describe the property contributed.

Petitioners testified that they created index cards recording the items as they were delivered to Goodwill or left for pickup by Purple Heart or Vietnam Veterans. Petitioners later aggregated this information into a master list. When the time *75 came to prepare their 2011 tax return, they assigned estimated values to the items. Petitioners did not introduce into evidence the index cards*81 they allegedly prepared or any other contemporaneous records supporting their contention that they made the alleged gifts. They supplied no evidence concerning their cost bases in these items or the manner in which they determined fair market values.

The IRS timely issued petitioners a notice of deficiency disallowing for lack of substantiation $300 of their claimed cash contributions and all of their claimed noncash contributions totaling $37,315. The IRS also determined an accuracy-related penalty. Petitioners timely sought review in this Court.

OPINIONI. Burden of Proof

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Cite This Page — Counsel Stack

Bluebook (online)
2015 T.C. Memo. 71, 109 T.C.M. 1379, 2015 Tax Ct. Memo LEXIS 77, Counsel Stack Legal Research, https://law.counselstack.com/opinion/kunkel-v-commr-tax-2015.