Ohsman v. Comm'r

2011 T.C. Memo. 98, 101 T.C.M. 1471, 2011 Tax Ct. Memo LEXIS 96
CourtUnited States Tax Court
DecidedMay 3, 2011
DocketDocket No. 23756-08.
StatusUnpublished
Cited by4 cases

This text of 2011 T.C. Memo. 98 (Ohsman 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
Ohsman v. Comm'r, 2011 T.C. Memo. 98, 101 T.C.M. 1471, 2011 Tax Ct. Memo LEXIS 96 (tax 2011).

Opinion

MICHAEL S. AND PAMELA S. OHSMAN, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Ohsman v. Comm'r
Docket No. 23756-08.
United States Tax Court
T.C. Memo 2011-98; 2011 Tax Ct. Memo LEXIS 96; 101 T.C.M. (CCH) 1471;
May 3, 2011, Filed
*96

An appropriate order and decision will be entered granting petitioners' motion for summary judgment.

P-H's Roth IRA formed an FSC which entered into a commission agreement with P-H's wholly owned C corporation. For excise tax purposes only, R recharacterized commission payments from the C corporation to the FSC as distributions to P-H followed by P-H's contribution of the proceeds to his Roth IRA. R determined that Ps were liable for excise taxes on excess contributions to P-H's Roth IRA under sec. 4973, I.R.C., and additions to tax under sec. 6651(a)(1), I.R.C., for failing to file the appropriate information returns.

Held: The transactions must be treated consistently for sec. 4973, I.R.C., and income tax purposes.

Held, further, the commission payments from P-H's C corporation do not represent excess contributions to P-H's Roth IRA.

Held, further, Ps are not liable for excise taxes under sec. 4973, I.R.C.

Held, further, Ps are not liable for additions to tax under sec. 6651(a)(1), I.R.C.

Neal J. Block, Robert S. Walton, and Brian C. Dursch, for petitioners.
Peter N. Scharff, for respondent.
NIMS, Judge.

NIMS
MEMORANDUM OPINION

NIMS, Judge: This matter is before the Court on petitioners' motion *97 for summary judgment under Rule 121 (Motion).

Respondent determined the following deficiencies and additions with respect to petitioners' Federal income tax:

Addition to Tax
YearDeficiencySec. 6651(a)(1)
2001$79,293$19,823.25
200285,59521,398.75
200385,59521,398.75
200485,59521,398.75
200585,35516,105.75
200685,35521,300.75

The issues for consideration are: (1) Whether petitioners are liable for excise taxes under section 4973 and (2) whether petitioners are liable for additions to tax under section 6651(a)(1). Unless otherwise indicated, all section references are to the Internal Revenue Code in effect for the years in issue, and all Rule references are to the Tax Court Rules of Practice and Procedure.

Background

For the purposes of deciding the Motion only, the following facts are derived from the affidavits and exhibits submitted by the parties and the parties' pleadings. Petitioners resided in Arizona when they filed their petition.

Michael S. Ohsman (petitioner) owned 100 percent of Ohsman & Sons Co., Inc. (Ohsman), a C corporation which was in the hide trading business. Petitioner established a Roth IRA which subscribed to all of the previously unissued stock of Ohsman Export, Inc. (Ohsman *98 Export), a foreign sales corporation (FSC).

From 1999 through 2001 Ohsman made commission payments to Ohsman Export (Ohsman commission payments) of $104,896 in 1999, $3,152,714 in 2000, and $3,585,712 in 2001. Ohsman Export accordingly reported taxable income of $27,160, $192,246, and $259,305, and paid taxes of $5,469, $58,226, and $84,379, respectively.

Ohsman Export made actual distributions to petitioner's Roth IRA of $635,000 in 2000 and $789,559 in 2001.

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Bluebook (online)
2011 T.C. Memo. 98, 101 T.C.M. 1471, 2011 Tax Ct. Memo LEXIS 96, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ohsman-v-commr-tax-2011.