McNeel v. Commissioner

1995 T.C. Memo. 211, 69 T.C.M. 2610, 1995 Tax Ct. Memo LEXIS 212
CourtUnited States Tax Court
DecidedMay 17, 1995
DocketDocket No. 23741-94
StatusUnpublished

This text of 1995 T.C. Memo. 211 (McNeel 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
McNeel v. Commissioner, 1995 T.C. Memo. 211, 69 T.C.M. 2610, 1995 Tax Ct. Memo LEXIS 212 (tax 1995).

Opinion

NOEL D. AND JOYCE A. MCNEEL, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
McNeel v. Commissioner
Docket No. 23741-94
United States Tax Court
T.C. Memo 1995-211; 1995 Tax Ct. Memo LEXIS 212; 69 T.C.M. (CCH) 2610;
May 17, 1995, Filed

*212 An order of dismissal and decision will be entered for respondent.

For respondent: Richard S. Goldstein and J. Robert Cuatto.
ARMEN

ARMEN

MEMORANDUM OPINION

ARMEN, Special Trial Judge: This case is before the Court on the following: (1) Respondent's Motion To Dismiss For Failure To State A Claim, filed pursuant to Rule 40, 1 and (2) respondent's Motion for Sanctions Pursuant to I.R.C. § 6673.

Petitioners resided in Maricopa County, Arizona, at the time their petition was filed with the Court.

Respondent's Notices of Deficiency

By separate notices, each dated September 22, 1994, respondent determined deficiencies in, and additions to, petitioners' Federal income taxes for the taxable year 1992 as follows:

Noel D. McNeel
Additions to tax
YearDeficiencySec. 6651(a)(1)Sec. 6654
1992$ 1,481$ 262$ 44
Joyce A. McNeel
Additions to tax
YearDeficiencySec. 6651(a)(1)Sec. 6654
1992$ 1,481$ 262$ 44

*213 The deficiencies in income tax were based on respondent's determination that petitioners together received compensation during 1992 in the total amount of $ 30,310, no part of which was reported on any income tax return for that year. Pursuant to the community property laws of the State of Arizona, respondent further determined that one-half of petitioners' total compensation, or $ 15,155, was taxable to each petitioner.

The additions to tax under section 6651(a)(1) were based on respondent's determination that petitioners' failure to file any income tax return for 1992 was not due to reasonable cause. Finally, the additions to tax under section 6654 were based on respondent's determination that petitioners failed to pay the requisite estimated income tax for 1992.

Petitioners' Petition

Petitioners filed a joint petition for redetermination on December 23, 1994. The petition includes an allegation that petitioners have a fair market value basis in their labor as a "day to day gift from their Creator". In conjunction with the foregoing, the petition includes the following statements:

During the year 1992 neither Petitioner was an employee of the companies they worked*214 for nor were they engaged in employment nor did they provide no services [sic] the companies they worked for. They merely sold their labor under contract.

During the year 1992, neither of the Petitioners were otherwise engaged in any profession, trade, employment or vocation or any business upon which an income tax can be imposed.

Petitioner Noel D. McNeel is a Man created by God Almighty.

Petitioner Joyce A. McNeel is a Woman created by God Almighty.

Their Life is given to them each day as an endowment (gift) from God.

The labor of both Petitioners' labor is their property.

As a part of their Life they receive their labor as a day to day gift from their Creator.

The gift of Petitioners' labor is a gift for income tax purposes.

The property was received by the Petitioners after December 31, 1920.

The Petitioners' Creator is the original owner of this property and the Petitioners' Creator did not receive the property as a gift before giving it to the Petitioners.

* * * *

During the years 1952 through 1981, Petitioner Gerald J. Landsberger [sic] sold his labor to Burlington Northern Railroad. In addition to the direct payment he received for the sale*215 of that labor he agreed, as a part of his contract, to defer payment of additional amounts. In addition to having a basis (cost) equal to the amount received in direct payment for the labor, the Petitioner had the additional basis (cost) in the labor sold equal to the deferred amount.

During the year 1992, Petitioner Noel D. McNeel sold his labor under contract to various construction companies and Joyce A. McNeel sold her labor under contract to Luby's Cafeterias, Inc. The petitioners received a combined total of $ 30,310.00 for the sale of that labor. Petitioners had a basis (cost) of at least $ 30,310.00 in the labor they sold during the year 1992.

The money the Petitioners received during the year 1992 was not "wages" (remuneration for services) or compensation for services.

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Bluebook (online)
1995 T.C. Memo. 211, 69 T.C.M. 2610, 1995 Tax Ct. Memo LEXIS 212, Counsel Stack Legal Research, https://law.counselstack.com/opinion/mcneel-v-commissioner-tax-1995.