Morgan v. Commissioner

1980 T.C. Memo. 499, 41 T.C.M. 332, 1980 Tax Ct. Memo LEXIS 88
Procedural entryThis page is a short order in Morgan v. Commissioner. Read the opinion of the Court — 37 T.C.M. 524
United States Tax Court·Decided November 5, 1980·No. Docket No. 5056-78.·Unpublished

Opinion

ROBERT J. MORGAN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Morgan v. Commissioner
Docket No. 5056-78.
United States Tax Court
T.C. Memo 1980-499; 1980 Tax Ct. Memo LEXIS 88; 41 T.C.M. (CCH) 332; T.C.M. (RIA) 80499;
November 5, 1980, Filed
Robert J. Morgan, pro se.
Cynthia J. Olson, for the respondent.

DAWSON

MEMORANDUM FINDINGS OF FACT AND OPINION

DAWSON, Judge: Respondent determined deficiencies in the petitioner's Federal income taxes and additions to tax as follows:

Addition to Tax
YearDeficiencySec. 6653(a) 1
1974$1,082.00$54.00
19751,923.9896.20
*89

The issues for decision are (1) whether the petitioner understated his tip income for the years 1974 and 1975 and (2) whether he is liable for the additions to tax under section 6653(a) for negligence or intentional disregard of rules and regulations.

FINDINGS OF FACT

Some of the facts were stipulated and are found accordingly.

Robert J. Morgan (petitioner) was a legal resident of Las Vegas, Nevada, when he filed his petition in this case.

During 1974 and 1975 petitioner was employed as a fulltime waiter in the Celebrity Room of the MGM Grand Hotel (hereinafter referred to as MGM or the employer) in Las Vegas, Nevada. He had experience as a waiter prior to his employment with MGM.

For the years 1974 and 1975 the petitioner's paid hours (excluding vacation and sick leave but including the overtime hours he actually worked) relative to his work as a waiter were:

19741975
1,0301,460

While employed as a Celebrity Room waiter, petitioner received tips from his customers in cash, by credit card sales, *90 room charges and coupon sales. None of these tips were included on the Forms W-2 provided to the petitioner unless the tips were specifically declared to the employer by him.

Petitioner reported tip income on his 1974 and 1975 Federal income tax returns as follows:

1974
Tips ReportedAdditional Tips
To EmployerReported on ReturnTotal
$1,699.00$603.00$2,302.00
1975
$3,493.750$3,493.75

The Celebrity Room showroom is a large room wherein the MGM presents a floor show twice nightly--a dinner show and a cocktail show. During most of 1974 and 1975 the minimum charge for both the dinner and cocktail shows at the Celebrity Room was $17.50.

The Celebrity Room is considered a desirable place to work for waiters and waitresses, and the turnover rate was very low during the years 1974 and 1975.

The customer seating area in the Celebrity Room is divided into thirty stations. Each of the thirty stations in the Celebrity Room had seats for up to 48 customers. Waiters and waitresses working the dinner show work in two-person teams, with one team serving each station. The stations remain the same at the cocktail show, but they are serviced by only*91 one waiter or waitress. The other waiters and waitresses are scheduled to go home after the dinner show, alternating every night.

The Celebrity Room customer attendance during 1974 and 1975 totaled 548,207 and 567,904, respectively.

During the years at issue waiters and waitresses were rotated throughout the stations of the Celebrity Room so that each waiter and waitress had an equal opportunity to work all the stations in the room.

On nights when petitioner worked the dinner show at the Celebrity Room, the pooled the tips received from that show with his station partner, paid 15 percent of that amount to the busboy, paid a few dollars to the bartender, and split the remainder with his station partner.

On nights when petitioner stayed to work the cocktail show at the Celebrity Room, he did not pool the tips received for that show, but gave approximately 15 percent of the tips to the busboy and a few dollars to the bartender.

The duties of all Celebrity Room waiters and waitresses include serving the food, collecting the checks, setting up for both shows, and clearing the tables after the shows. Thus, all waiters and waitresses had the same ratio of paid set-up and clean-up*92 time to actual serving time.

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Morgan v. Commissioner, 1980 T.C. Memo. 499, 41 T.C.M. 332, 1980 Tax Ct. Memo LEXIS 88 (tax 1980).

1980 T.C. Memo. 499 (Morgan v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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