Newman v. Comm'r

2012 T.C. Memo. 74, 103 T.C.M. 1398, 2012 Tax Ct. Memo LEXIS 73
CourtUnited States Tax Court
DecidedMarch 19, 2012
DocketDocket Nos. 25028-09, 1124-10.
StatusUnpublished
Cited by5 cases

This text of 2012 T.C. Memo. 74 (Newman 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.

Bluebook
Newman v. Comm'r, 2012 T.C. Memo. 74, 103 T.C.M. 1398, 2012 Tax Ct. Memo LEXIS 73 (tax 2012).

Opinion

MARITZA FURIATTI NEWMAN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent; ROBERT MECK COMFORT AND OSCARLINA CAMPOS COMFORT, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Newman v. Comm'r
Docket Nos. 25028-09, 1124-10.
United States Tax Court
T.C. Memo 2012-74; 2012 Tax Ct. Memo LEXIS 73; 103 T.C.M. (CCH) 1398;
March 19, 2012, Filed
*73

Appropriate orders and decisions will be entered.

Ps were foreign citizens who worked in the United States at foreign embassies whose countries had not been certified by the U.S. State Department under I.R.C. sec. 893(b). Claiming tax exemption for those wages pursuant to I.R.C. sec. 893(a), Ps did not report their embassy wages as income. R issued notices of deficiency including the embassy wages as income, and Ps filed petitions. Before trial of these cases, this Court issued its Opinion in Abdel-Fattah v. Commissioner, 134 T.C. 190 (2010), holding against the IRS's interpretation of I.R.C. sec. 893(b). As to Ps, the IRS later conceded the I.R.C. sec. 893(b) issue and eventually conceded their cases altogether. Ps moved for administrative and litigation costs under I.R.C. sec. 7430.

Held: Notwithstanding our Opinion in Abdel-Fattah, R's position in these cases, though incorrect, was "substantially justified" under I.R.C. sec. 7430(c)(4)(B)(i), so that Ps may not recover costs.

A. Duane Webber and Kathleen A. Agbayani, for petitioners.
Karen Lynne Baker and William J. Gregg, for respondent.
GUSTAFSON, Judge.

GUSTAFSON
MEMORANDUM OPINION

GUSTAFSON, Judge: These cases are now before the Court *74 on motions for costs filed pursuant to Rule 231 and section 7430. 1*75 The procedural predicate for those motions is as follows: On the dates given in the table below, respondent, the Internal Revenue Service ("IRS"), issued a notice of deficiency ("NOD") to Maritza Furiatti Newman and an NOD to Robert Meck Comfort and Oscarlina Campos Comfort; petitioners filed petitions in this Court; the IRS filed its answers; after the cases were calendared for trial, but before trial, the parties filed stipulations of settled issues; and petitioners filed their motions for costs. The dates of these actions were as follows:

ActionNewman No. 25028-09Comfort No. 1124-10
NODAug. 6, 2009Oct. 20, 2009
PetitionOct. 20, 2009Jan. 13, 2010
AnswerDec. 16, 2009Mar. 1, 2010
Stipulation of settled issuesDec. 14, 2010Nov. 23, 2010
Motion for costsJan. 28, 2011Jan. 31, 2011

The issue for decision is whether the IRS's position in these cases was "substantially justified" for purposes of section 7430(c)(4)(B)(i). We hold in favor of the IRS.

BackgroundPetitioners' employment and tax reporting

Throughout the years at issue (i.e., 2002 through 2007 for Ms. Newman and 2003 through 2007 for the Comforts), Mrs. Comfort and Ms. Newman were Brazilian citizens and were employed at the Brazilian Aeronautical Commission (the "Commission"), which was a part of the Brazilian Embassy. Both Mrs. Comfort and Ms.

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Bluebook (online)
2012 T.C. Memo. 74, 103 T.C.M. 1398, 2012 Tax Ct. Memo LEXIS 73, Counsel Stack Legal Research, https://law.counselstack.com/opinion/newman-v-commr-tax-2012.