Lebloch v. Comm'r

2007 T.C. Memo. 145, 93 T.C.M. 1320, 2007 Tax Ct. Memo LEXIS 147
CourtUnited States Tax Court
DecidedJune 11, 2007
DocketNo. 2724-05
StatusUnpublished

This text of 2007 T.C. Memo. 145 (Lebloch 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
Lebloch v. Comm'r, 2007 T.C. Memo. 145, 93 T.C.M. 1320, 2007 Tax Ct. Memo LEXIS 147 (tax 2007).

Opinion

JAMES G. LEBLOCH AND CATHY MICHELSEN LEBLOCH, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Lebloch v. Comm'r
No. 2724-05
United States Tax Court
T.C. Memo 2007-145; 2007 Tax Ct. Memo LEXIS 147; 93 T.C.M. (CCH) 1320;
June 11, 2007, Filed
*147
James G. LeBloch, for petitioners.
Michael W. Berwind, for respondent.
Laro, David

DAVID LARO

MEMORANDUM FINDINGS OF FACT AND OPINION

LARO, Judge: Petitioners petitioned the Court to redetermine respondent's determinations with respect to their 1997, 1998, and 1999 Federal income taxes. Respondent determined the following deficiencies and section 6662(a) accuracy-related penalties for those years: 1

YearDeficiencyAccuracy-Related Penalty
1997$ 36,478$ 7,288.00
1998 18,1033,620.60
1999 29,6665,933.20

The deficiencies and accuracy-related penalties are primarily attributable to respondent's determination of unreported income (by way of bank deposits analyses) and to respondent's disallowance of self-employment expenses (for lack of substantiation). Following concessions, 2*148 we decide the following issues as to each subject year:

1. Whether petitioners underreported their income. We hold they did in the amounts set forth herein.

2. Whether petitioners may deduct the disputed expenses. We hold they may not.

FINDINGS OF FACT

A. Preface

Some facts were stipulated *149 or contained in the exhibits submitted therewith. We find the facts accordingly. Petitioners were husband and wife from December 31, 1997, through the end of the subject years, and they filed joint Federal income tax returns for those years. When their petition was filed, they resided in a 3- bedroom house (residence) in Laguna Beach, California. Petitioners purchased the residence for $ 563,000, each of them paying half of the downpayment, and the interior of the residence measured approximately 2,200 square feet. That square footage does not include a 2-car garage that measured approximately 400 square feet. 3 At the time of trial, petitioners were divorced, and petitioner Cathy Michelsen LeBloch (Michelsen) lived in or around Brisbane, Australia.

With respect to their household bills and other finances, petitioners had an arrangement that they pay equally all common expenses (e.g., mortgage, property taxes, utilities) and that the spouse benefiting from any other expense pay that expense. Petitioners maintained separate financial accounts and did not own any financial account jointly. When one of them *150 paid a common expense in full, or paid an expense of the other, the other one typically wrote contemporaneously a check to the payee for half of the expense (in the case of a common expense) or for the full expense.

B. LeBloch

James G. LeBloch (LeBloch) received a law degree from the University of Illinois in 1972 and a graduate law degree in taxation from New York University in 1978. He worked for General Motors Corp. from about 1972 through 1980, except for approximately 9 months when he was earning his graduate law degree. He worked as tax counsel for Monsanto Corp. from about 1980 through 1988 and as a chief financial officer for Seagate Technology from 1988 through 1990. He worked from 1990 through 1999 as a senior attorney in respondent's Office of Chief Counsel in Los Angeles, California. He has worked in private practice as a tax attorney since 2000.

C. Nature's Touch

Michelsen formed and operated three retail gift shops known as Nature's Touch. From January 1 through November 23, 1997, she operated two of the shops as a sole proprietor; she operated the third shop as a sole proprietor from its opening on November 1, 1997, through November 23, 1997. After November 23, 1997, she *151 operated the three shops as an officer and director of her wholly owned corporation, NT, Inc. (NT). Michelsen formed NT in November 1997, and she has always been its sole officer, sole director, and sole shareholder.

Michelsen opened one of the three Nature's Touch shops in San Juan Capistrano, California, in June 1993. Nineteen months later, she opened the second shop in Palm Desert, California. The Palm Desert shop did not do well financially, and Michelsen moved the business of that shop to Palm Springs, California, in May 1997. Michelsen's lease of the vacated premises had not yet expired at the time of the move, and she sublet those premises in exchange for $ 3,000. On November 1, 1997, Michelsen opened the third Nature's Touch shop in Carlsbad, California. The approximate sizes of the shops in San Juan Capistrano, Palm Springs, and Carlsbad were 1,300, 1,700, and 1,500 square feet, respectively.

The Nature's Touch shops sold mostly 300 to 500 different gift items (e.g., fountains, garden supplies, stationery, books).

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2007 T.C. Memo. 145, 93 T.C.M. 1320, 2007 Tax Ct. Memo LEXIS 147, Counsel Stack Legal Research, https://law.counselstack.com/opinion/lebloch-v-commr-tax-2007.