Moorefield v. Commissioner

1996 T.C. Memo. 98, 71 T.C.M. 2296, 1996 Tax Ct. Memo LEXIS 93
CourtUnited States Tax Court
DecidedMarch 5, 1996
DocketDocket No. 17379-94.
StatusUnpublished
Cited by1 cases

This text of 1996 T.C. Memo. 98 (Moorefield 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
Moorefield v. Commissioner, 1996 T.C. Memo. 98, 71 T.C.M. 2296, 1996 Tax Ct. Memo LEXIS 93 (tax 1996).

Opinion

RAYMOND ALBERT MOOREFIELD, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Moorefield v. Commissioner
Docket No. 17379-94.
United States Tax Court
T.C. Memo 1996-98; 1996 Tax Ct. Memo LEXIS 93; 71 T.C.M. (CCH) 2296;
March 5, 1996, Filed

*93 Decision will be entered for respondent.

Raymond Albert Moorefield, pro se.
Maria A. Murphy and Michael Salama, for respondent.
COHEN, Judge

COHEN

MEMORANDUM FINDINGS OF FACT AND OPINION

COHEN, Judge: Respondent determined a deficiency of $ 310,670 in petitioner's Federal income tax for 1988 and additions to tax of $ 77,667 under section 6651(a) (1) and $ 15,749 under section 6653(a)(1). The issues for decision are whether funds received by petitioner in 1988 constituted taxable income and whether petitioner is liable for the additions to tax determined by respondent. Unless otherwise indicated, all section references are to the Internal Revenue Code in effect for the year in issue.

FINDINGS OF FACT

Some of the facts have been stipulated, and the stipulated facts are incorporated in our findings by this reference. Petitioner resided in California at the time that he filed his petition.

On or about April 24, 1969, petitioner entered into a contract with Charles Wright (Wright). The contract granted petitioner an option to purchase a parcel of real property owned by Wright. In 1979, Wright was declared legally incompetent. On or about April 21, 1980, petitioner, as one of several*94 plaintiffs, commenced a lawsuit in the Superior Court of the State of California for the County of Los Angeles (the Superior Court) against Wright entitled R.E. Vine Development, Inc., et al. v. Charles W. Wright, et al. (Vine Development--suit No. 1). The causes of action that were the subject of the suit included specific performance, breach of contract, interference with contract, quiet title, and declaratory relief. On October 5, 1984, a judgment in favor of petitioner in the amount of $ 1,613,450.14 was entered. That judgment was thereafter appealed.

On December 10, 1984, and January 7, 1985, petitioner filed a Complaint for Damages and an Amendment to Complaint, respectively, in the Superior Court entitled Raymond A. Moorefield v. Charles W. Wright, et al. (Moorefield v. Wright--suit No. 2). On or about December 4, 1985, petitioner filed another complaint against Wright in the Superior Court entitled Raymond A. Moorefield v. Charles W. Wright, et al. (Moorefield v. Wright--suit No. 3). The causes of action in Moorefield v. Wright--suit No. 3 included anticipatory breach of contracts and agreements, breach of trust, breach of trust with fraudulent*95 intentions, interference with contracts and agreements, conspiracy, quiet title, specific performance, and declaratory relief.

On January 8, 1988, a Settlement Agreement and General Release was filed in Moorefield v. Wright--suit No. 3 (the settlement agreement). The settlement agreement provided for disposition of the three previously filed lawsuits in which petitioner was a plaintiff against Wright and a release of all claims. The settlement agreement further provided that Wright would pay to petitioner the sum of $ 1,100,000.

On April 8, 1988, Wright paid petitioner the sum of $ 1,055,000. Approximately $ 750,000 of this amount was paid to petitioner's children pursuant to assignments executed by petitioner in 1985. The additional amount of $ 45,000 was sent to petitioner, but he returned it to Wright's attorney, refusing to accept it. Thereafter, Wright's attorney filed an interpleader action with respect to the $ 45,000 and deposited it with the Clerk of the Superior Court. The interpleader action was subsequently dismissed, and the $ 45,000 was tendered to petitioner.

Subsequent to his receipt of $ 1,055,000, petitioner claimed that Wright and others had breached the *96 settlement agreement. Petitioner commenced further litigation that continued through the time of trial of this case in January 1996. Petitioner refused to accept the $ 45,000 from the Superior Court because he believed that it would compromise his position that a valid settlement agreement had not been entered into.

Petitioner did not file a tax return for 1988 until December 29, 1993, after he was contacted by the Internal Revenue Service.

OPINION

Petitioner contends that, because his ongoing litigation with Wright has not been resolved, it would be premature to tax him on the proceeds that he actually received in 1988 from Wright. Alternatively, petitioner contends that the proceeds were not pursuant to a settlement agreement entered into in 1988 but were paid on account of a tentative decision of the Superior Court in 1984. Neither theory, however, makes the funds actually received by him in 1988 nontaxable in that year or excuses his failure to file a return and report those proceeds for that year.

Section 61(a) states: "Except as otherwise provided in this subtitle, gross income means all income from whatever source derived". The Supreme Court has repeatedly emphasized the*97 "sweeping scope" of section 61(a) and its statutory predecessors. See Commissioner v. Schleier, 515 U.S.    , 115 S. Ct. 2159, 2163 (1995); Commissioner v. Glenshaw Glass Co., 348 U.S. 426, 429 (1955). In Schleier

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2000 T.C. Memo. 14 (U.S. Tax Court, 2000)

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Bluebook (online)
1996 T.C. Memo. 98, 71 T.C.M. 2296, 1996 Tax Ct. Memo LEXIS 93, Counsel Stack Legal Research, https://law.counselstack.com/opinion/moorefield-v-commissioner-tax-1996.