Miller v. Comm'r

2014 T.C. Memo. 105, 107 T.C.M. 1520, 2014 Tax Ct. Memo LEXIS 106
United States Tax Court·Decided June 2, 2014·No. Docket No. 8505-13.·Unpublished

Opinion

JAMES C. MILLER, JR., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Miller v. Comm'r
Docket No. 8505-13.
United States Tax Court
T.C. Memo 2014-105; 2014 Tax Ct. Memo LEXIS 106; 107 T.C.M. (CCH) 1520;
June 2, 2014, Filed
*106James C. Miller, Jr., Pro se.
Scott Lyons, for respondent.
LAUBER, Judge.

LAUBER
MEMORANDUM FINDINGS OF FACT AND OPINION

LAUBER, Judge: For petitioner's 2007, 2008, and 2009 tax years, the Internal Revenue Service (IRS) determined deficiencies in Federal income tax and *106 additions to tax under sections 6651(a)(1) and (2) and 6654(a) in the following amounts:1

Additions to tax
YearDeficiencySec. 6651(a)(1)Sec. 6651(a)(2)Sec. 6654
2007$22,312$5,020$5,578$1,015
200823,8705,371to be determined767
200916,7983,780to be determined402

The issues for decision are: (1) whether petitioner received but failed to report nonemployee compensation (we hold that he did); (2) whether petitioner is entitled to deduct alleged expenses reported on Schedules C, Profit or Loss From Business (we hold that he is not); (3) whether petitioner is liable for additions to tax pursuant to section 6651(a)(1) for failing to timely file Federal income tax returns (we hold that he is); (4) whether petitioner is liable*107 for additions to tax pursuant to section 6651(a)(2) for failing to timely pay Federal income tax (we hold that he is); (5) whether petitioner is liable for additions to tax pursuant to section 6654 for failure to pay estimated Federal income tax (we hold that he is); and (6) whether petitioner engaged in behavior warranting the imposition of a *107 penalty pursuant to section 6673(a) (we hold that he did but will refrain from imposing a penalty).

FINDINGS OF FACT

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. At the time he filed his petition, petitioner resided in Georgia.

Petitioner was self-employed and engaged in various jobs as a handyman and maintenance worker. Petitioner's primary trade was roofing, but he also performed sheet rock repairs, minor plumbing, and painting for various businesses. During the tax years at issue petitioner admitted that he performed such tasks for Georgia Farm Bureau Mutual Insurance Co. (Georgia Farm Bureau), which hired him to repair storm damage to properties it insured. He admitted that he also performed such tasks for Belk & Co., which hired him to do maintenance and repairs on real estate it*108 owned.

Petitioner failed to file a Form 1040, U.S. Individual Income Tax Return, for 2006, 2007, 2008, or 2009. The IRS received information returns, Forms 1099-MISC, Miscellaneous Income, reporting that petitioner during these years received payments from the following payors in the following amounts:

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Miller v. Comm'r, 2014 T.C. Memo. 105, 107 T.C.M. 1520, 2014 Tax Ct. Memo LEXIS 106 (tax 2014).

2014 T.C. Memo. 105 (Miller v. Comm'r) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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