Megibow v. Comm'r
This text of 2011 T.C. Memo. 211 (Megibow 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.
Opinion
Decision will be entered for respondent.
MORRISON,
At the time he filed his petition, Megibow resided in New York. During 2007, the IRS issued Megibow three checks that it contends were partly payments of interest Megibow earned on tax overpayments. The table below sets forth the dates of the three checks, the amounts of the checks, the tax years to which the IRS contends each check corresponds, and the portions of the amounts that the IRS contends are interest:
| Tax Year to Which | Portion of Amount | ||
| Check Allegedly | That Is Allegedly | ||
| Date of Check | Relates | Amount of Check | Interest |
| 8/27/2007 | 6/19/1905 | $11,383.03 | $1,000.11 |
| 9/3/07 | 1998 | 8,266.20 | 803.94 |
| 11/12/2007 | 6/28/1905 | 13,210.00 | 4.39 |
| Total | 32,859.23 | 1,808.44 |
On *211 his 2007 income-tax return, Megibow did not report that he earned any interest income from the IRS. On the basis of its view that Megibow earned $1,808.44 of interest on tax overpayments, the IRS determined a $506 income-tax deficiency and issued Megibow a notice of deficiency on January 11, 2010. In response, Megibow filed a petition for redetermination of the deficiency.
If a taxpayer overpays federal taxes, the IRS is required to pay interest on the overpayment.
At trial the IRS introduced into evidence its accounting records for Megibow's 1997, 1998, and 2006 tax years. These records reflect the history of Megibow's dealings with the IRS, including the dates he made tax payments, *212 the dates the IRS paid him refunds, and the dates he accrued tax liabilities. According to the records, the IRS made three payments to Megibow in 2007. Portions of each of the three payments are described as "INTEREST DUE TAXPAYER". The portions are $1,000.11, $803.94, and $4.39 for overpayments of tax for the tax years 1997, 1998, and 2006, respectively—a total of $1,808.44. Megibow contends that the accounting records are irrelevant in determining the amount of interest income he earned because the records do not show what rate the IRS used to compute interest. Although the accounting records do not explicitly show the interest rate that the IRS used in the computations, they are nonetheless persuasive that $1,808.44 of the payments was, in substance, interest income. The records show that the IRS computed and recorded that $1,808.44 of its payments to Megibow was interest. Megibow produced no evidence that the disputed portions were not interest. He did not himself testify, call others to testify, or introduce documentary evidence. In his brief, Megibow erroneously asserts that his attorney testified at trial.
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Cite This Page — Counsel Stack
2011 T.C. Memo. 211, 102 T.C.M. 232, 2011 Tax Ct. Memo LEXIS 210, Counsel Stack Legal Research, https://law.counselstack.com/opinion/megibow-v-commr-tax-2011.