Park v. Comm'r

2002 T.C. Memo. 232, 84 T.C.M. 319, 2002 Tax Ct. Memo LEXIS 240
United States Tax Court·Decided September 18, 2002·No. No. 13778-99; No. 13784-99; No. 13789-99·Unpublished

Opinion

JOSEPH D. PARK AND MI JUNG PARK, ET AL., 1 Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Park v. Comm'r
No. 13778-99; No. 13784-99; No. 13789-99
United States Tax Court
T.C. Memo 2002-232; 2002 Tax Ct. Memo LEXIS 240; 84 T.C.M. (CCH) 319; T.C.M. (RIA) 319;
September 18, 2002, Filed

*240 Petitioners' motion for award of reasonable litigation costs motion was denied.

Michael G. Little, for petitioners.
William R. McCants, for respondent.
Foley, Maurice B.

FOLEY

MEMORANDUM OPINION

FOLEY, Judge: This matter is before the Court on petitioners' motion for award of reasonable litigation costs pursuant to section 7430 and Rule 231. 2 This Court ruled in favor of petitioners, in Park v. Comm'r, T.C. Memo 2002-50, and we incorporate herein by reference the facts set forth in that opinion.

Background

John, Joseph, and David Park are brothers who immigrated to the United States from Korea in the 1980s. During the years in issue, Joseph and David Park were married to Mi Jung and Deborah Park, respectively. *241 Petitioners moved to Florida to establish businesses and resided there when they filed their petitions.

Respondent was suspicious of the inconsistencies between petitioners' lifestyles and their reported income for tax years 1990 to 1994. Respondent believed petitioners were "skimming" money from their businesses, "laundering" money, or buying discounted traveler's checks and selling them at a profit.

Kaharudin Latief and Ferry Tandiono, both wealthy Indonesian businessmen, transferred more than $ 9 million, via wire transfers and traveler's checks, to petitioners. Petitioners worked together on several of the business ventures and would, at times, transfer funds amongst themselves. In addition, Mr. Tandiono provided David with over $ 1 million to buy a home. In 1997, David transferred the home to Mr. Tandiono, who held a mortgage on the property. At the time of the filing of the petition in 1999, David resided in this home, paying repair and miscellaneous expenses but no rent. Respondent reconstructed petitioners' incomes using the cash expenditures method and determined unreported income of over $ 9 million relating to the years in issue. In February 2002, this Court held that*242 the amounts in dispute were nontaxable gifts.

On March 22, 2002, petitioners filed their motion for award of litigation costs (motion). Petitioners' motion contained a statement that petitioners each had a net worth of less than $ 2 million when they filed their petitions. Each petitioner also submitted a one-page affidavit attempting to verify his or her net worth. On May 1, 2002, respondent filed his response and objection to the motion for litigation costs (response and objection), specifically contending that the affidavits were insufficient to establish net worth. On June 20, 2002, petitioners then filed a supplement to motion for award of litigation costs (supplement) in reply to respondent's response and objection but did not address the issue of net worth.

Discussion

The prevailing party in a Tax Court proceeding may recover litigation costs. Sec. 7430(a); Rule 231. Except as provided in section 7430(c)(4)(B), petitioners bear the burden of proving that they meet each of the requirements of section 7430. Rule 232(e). Their failure to meet any one of the requirements of section 7430 will preclude an award of costs. Minahan v. Commissioner, 88 T.C. 492, 497 (1987).*243

Petitioners may recover litigation costs only if they meet the net worth requirements referenced in 28 U.S.C. sec. 2412(d)(1)(B). Sec. 7430(c)(4)(A)(ii). An individual's net worth must not exceed $ 2 million at the time of filing of the petition to commence a civil proceeding.

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Park v. Comm'r, 2002 T.C. Memo. 232, 84 T.C.M. 319, 2002 Tax Ct. Memo LEXIS 240 (tax 2002).

2002 T.C. Memo. 232 (Park v. Comm'r) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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