McCarthy v. Commissioner

1987 T.C. Memo. 526, 54 T.C.M. 892, 1987 Tax Ct. Memo LEXIS 517
CourtUnited States Tax Court
DecidedOctober 8, 1987
DocketDocket No. 42238-86.
StatusUnpublished

This text of 1987 T.C. Memo. 526 (McCarthy v. Commissioner) 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
McCarthy v. Commissioner, 1987 T.C. Memo. 526, 54 T.C.M. 892, 1987 Tax Ct. Memo LEXIS 517 (tax 1987).

Opinion

JOHN J. McCARTHY, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
McCarthy v. Commissioner
Docket No. 42238-86.
United States Tax Court
T.C. Memo 1987-526; 1987 Tax Ct. Memo LEXIS 517; 54 T.C.M. (CCH) 892; T.C.M. (RIA) 87526;
October 8, 1987.
John J. McCarthy, Pro se.
Elise Frost Alair, for the respondent.

DINAN

MEMORANDUM OPINION

DINAN, Special Trial Judge: This case was heard pursuant to the provisions of section 7456(d) of the Code (redesignated as section 7443A(b) by the Tax Reform Act of 1986, Pub. L. 99-514, section 1556, 100 Stat. 2755) of the Code and Rules 180, 181 and 182. 1

Respondent determined deficiencies in John J. McCarthy's (hereinafter referred to as petitioner) 1979, 1980 and 1981 Federal*519 income taxes and additions to tax as follows:

Additions to Tax
SectionSectionSectionSection
YearDeficiency6651(a)(1)6653(a)(1)6653(a)(2)6654
1979$ 2,439.60$ 602.27$ 121.98- 0 -$ 100.05
19892,436.31609.07121.82- 0 -155.89
19814,188.371,047.09209.42*320.95

At trial, respondent also moved for damages pursuant to section 6673. The issues for decision are (1) whether petitioner had unreported taxable income during the years in issue, (2) if so, whether that income was subject to the self-employment tax under section 1401, (3) whether petitioner may deduct certain medical expenses, business expenses and sales taxes for the years 1979, 1980, and 1981, (4) whether petitioner is liable for additions to tax pursuant to sections 6651(a)(1), 6653(a)(1), 6653(a)(2) and 6654, and (5) whether damages should be awarded to the United States pursuant to section 6673.

Some of the facts have been stipulated. The stipulations of fact and attached exhibits are incorporated by this reference.

Petitioner resided in*520 Bethany, Connecticut, at the time he filed his petition. Petitioner received payments from the following sources during 1979, 1980 and 1981:

1979Main Street Management (wages)$ 13,097.41
Main Street Management (nonempl. comp.)1,723.50
$ 14,820.91
1980Main Street Management (wages)$ 99.36
Fidelity Management Corp. (Nonempl. Comp.)3,375.00
Gemstone Trading Corp. (Nonempl. Comp.)2,491.55
Diamond Trading Group (Nonempl. Comp.)5,100.90
Ida Lee Barker (Gary Assoc.) (Nonempl. Comp.)456.10
ESBF Group Plan (Nonempl. Comp.)37.08
$ 11,559.99
1981Pension Associates (Nonempl. Comp.)$ 1,065.00
Ida Lee Barker Assoc.(Nonempl. Comp.)698.00
Ida Lee Barker Assoc. (Nonempl. Comp.)698.00
Integrated Resources Equity Corp. (Comms.)13,876.30
$ 16,337.30

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76 T.C. 1027 (U.S. Tax Court, 1981)
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76 T.C. 706 (U.S. Tax Court, 1981)
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Rowlee v. Commissioner
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Boaz v. Commissioner
1987 T.C. Memo. 180 (U.S. Tax Court, 1987)

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1987 T.C. Memo. 526, 54 T.C.M. 892, 1987 Tax Ct. Memo LEXIS 517, Counsel Stack Legal Research, https://law.counselstack.com/opinion/mccarthy-v-commissioner-tax-1987.