Lewis v. Comm'r

2006 T.C. Summary Opinion 6, 2006 Tax Ct. Summary LEXIS 138
Procedural entryThis page is a short order in Lewis v. Comm'r. Read the opinion of the Court — 128 T.C. 48
United States Tax Court·Decided January 24, 2006·No. No. 2430-04S ·Unpublished

Opinion

CONRAD FITZGERALD LEWIS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Lewis v. Comm'r
No. 2430-04S
United States Tax Court
T.C. Summary Opinion 2006-6; 2006 Tax Ct. Summary LEXIS 138;
January 24, 2006, Filed

*138 PURSUANT TO INTERNAL REVENUE CODE SECTION 7463(b), THIS OPINION MAY NOT BE TREATED AS PRECEDENT FOR ANY OTHER CASE.

Conrad Fitzgerald Lewis, Pro se.
Steven M. Webster, for respondent.
Goldberg, Stanley J.

STANLEY J. GOLDBERG

GOLDBERG, Special Trial Judge: This case was heard pursuant to the provisions of section 7463 of the Internal Revenue Code in effect at the time the petition was filed. The decision to be entered is not reviewable by any other court, and this opinion should not be cited as authority. Unless otherwise indicated, subsequent section references are to the Internal Revenue Code in effect for the years in issue, and all Rule references are to the Tax Court Rules of Practice and Procedure.

Respondent determined deficiencies in petitioner's Federal income taxes of $ 5,926.00, $ 7,816.65, and $ 5,336.00 for the taxable years 2000, 2001, and 2002, respectively.

After concessions, 1 the issues for decision are: (1) Whether petitioner is entitled to claim the dependency exemption deduction for DD for tax years 2000, 2001, and 2002; (2) whether petitioner is entitled to a child tax credit with DD as the qualifying child for*139 tax years 2000, 2001, and 2002; (3) whether petitioner is entitled to claim Schedule C expenses for the 2000, 2001, and 2002 tax years; (4) whether petitioner is entitled to miscellaneous itemized deductions for the 2000 tax year; 2 and (5) whether petitioner failed to report interest income for tax years 2000 and 2001.

*140 Background

Some of the facts have been stipulated and are so found. The stipulation of facts and the attached exhibits are incorporated herein by this reference. Petitioner resided in Hopkins, South Carolina, on the date the petition was filed in this case.

In March of 1995, petitioner and Paula B. Lewis (Ms. Lewis) were married. Ms. Lewis had a child, KM, from a previous relationship. Petitioner and Ms. Lewis had two children during their marriage, BL and JL. Petitioner and Ms. Lewis also had two foster children, BW and DD, in their custody during the taxable years in issue. DD is the only child at issue in the present case. On June 3, 1999, the South Carolina Department of Social Services issued to petitioner and Ms. Lewis a license to conduct a foster family boarding home under the provisions of Act Number 334, Section 3, enacted March 10, 1986. DD was placed with petitioner and Ms. Lewis by Growing Home, a branch of South Carolina Social Services, from April 9, 2000, through October 1, 2001.

Petitioner and Ms. Lewis separated in taxable year 2000. At that time, petitioner moved out of their house. At the time of trial, petitioner and Ms. Lewis were still trying to reconcile, *141 but were not formally divorced.

Petitioner and Ms. Lewis purchased their house in 1999 using their combined funds. The house was titled solely in Ms. Lewis's name. Ms. Lewis claimed a deduction for the home mortgage interest paid on her and petitioner's house for taxable year 2002 of $ 6,458.

During the years in issue, Ms. Lewis was a self-employed cosmetologist. Also, during the years in issue, petitioner was employed as a truck driver by Wilson Trucking Corporation. Petitioner received wage income from Wilson Trucking Corporation for taxable years 2000, 2001, and 2002, of $ 40,816, $ 34,904, and $ 41,035, respectively. Further, during the years in issue, petitioner operated a hair cutting and beauty salon business known as "Your Future Style".

Sometime in 1997, Ms. Lewis started a business known as "Kiddy Cuts and Styles". During 1998, Ms. Lewis ceased business operations of "Kiddy Cuts and Styles". Shortly after Ms. Lewis discontinued her existing business, in May 1998, petitioner started his business named "Your Future Style" (the business). Petitioner leased a commercial unit in Leesburg Plaza (commercial space), which was located in Columbia, South Carolina. Petitioner and*142 Ms. Lewis's names were both on the commercial lease contract and the phone bills for the business. The utility bills relating to the business were in the name of and addressed to "Paula B. Adams 3 Doing Business As Kiddy Cuts & Style".

Petitioner renovated the commercial space before opening his salon. Petitioner's commercial space consisted of three barber chairs and six salon stations. Petitioner leased out the barber chairs and salon stations to licensed barbers and cosmetologists. The average lease rentals for the barber chairs and salon stations were $ 60 and $ 100 per week, respectively. One of the cosmetologists to whom petitioner leased a salon station was Ms. Lewis.

Ms. Lewis filed Federal income tax returns for the taxable years 2000, 2001, and 2002. Ms. Lewis attached a Schedule C, Profit or Loss From Business, to each of her Forms 1040, U.S. Individual Income Tax Return, for the taxable years 2000, 2001, and 2002. On her Schedules*143 C for these years Ms. Lewis reported: (1) Her principal profession as a cosmetologist, (2) her business name as "Your Future Style", and (3) the commercial space as the address of "Your Future Style".

Petitioner received interest income during taxable years 2000 and 2001 from Wachovia Bank of $ 20 and $ 12, respectively. Petitioner also received interest income during taxable years 2000 and 2001 from Fort Jackson Federal Credit Union of $ 93 and $ 29, respectively.

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