Payne v. Comm'r

2016 T.C. Summary Opinion 30, 2016 Tax Ct. Summary LEXIS 30
United States Tax Court·Decided June 23, 2016·No. Docket Nos. 25006-14S.·Unpublished

Opinion

PERRY WALTER PAYNE AND FLORENCE NAKAKANDE KASULE, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Payne v. Comm'r
Docket Nos. 25006-14S.
United States Tax Court
T.C. Summary Opinion 2016-30; 2016 Tax Ct. Summary LEXIS 30;
June 23, 2016, Filed

Decision will be entered for respondent.

*30Perry Walter Payne and Florence Nakakande Kasule, Pro sese.
David A. Indek, for respondent.
GERBER, Judge.

GERBER
SUMMARY OPINION

GERBER, Judge: This case was heard pursuant to the provisions of section 7463 of the Internal Revenue Code in effect when the petition was filed.1 Pursuant to section 7463(b), the decision to be entered is not reviewable by any other court, and this opinion shall not be treated as precedent for any other case.

Respondent determined income tax deficiencies for petitioners' 2010 and 2011 tax years of $14,008.12, and $18,651, respectively. Respondent also determined accuracy-related penalties under section 6662(a) for 2010 and 2011 of $2,801.62, and $3,730.20, respectively. In an amendment to answer, filed August 12, 2015, respondent asserted increases in the income tax deficiencies for 2010 and 2011 of $8,361 and $8,137, respectively. Respondent also asserted increases in the section 6662(a) accuracy-related penalties for 2010 and 2011 of $1,672.20 and $1,627.40, respectively.

The issues2 for consideration are (1) whether*31 petitioners are entitled to various noncash charitable contribution deductions for 2010 and 2011 and (2) whether petitioners are liable for accuracy-related penalties for 2010 and 2011.

Background

At the time their petition was filed, petitioners resided in Maryland. Petitioner Perry Walter Payne earned income as a professor during 2010 and 2011. Petitioner Florence Nakakande Kasule earned income as a contract specialist during 2010 and 2011. Petitioners' modified adjusted gross income exceeded $150,000 for each of the 2010 and 2011 taxable years. Mr. Payne earned a juris doctor degree but does not practice law.

During 2010 and 2011 petitioners resided in a 1,600-square-foot home and also owned an unfurnished*32 condominium that they intermittently rented out during that period. The 1,600-square-foot home also had a one-car garage. Mr. Payne also owned two inherited residences in Memphis, Tennessee. One residence, inherited in 2007, was rented to a third party during 2010 and 2011. The other was inherited some time during 2011 and was furnished. During 2010 and 2011 petitioners owned two sedan automobiles. Petitioners did not have a truck or larger vehicle during 2010 and 2011.

On Schedule A, Itemized Deductions, of their 2010 Federal income tax return (return) petitioners deducted $455 as cash charitable contributions and $79,000 as noncash charitable contributions. On Schedule A of their 2011 return petitioners deducted $1,600 as cash charitable contributions and $90,000 as noncash charitable contributions. The total of the claimed charitable contribution deductions for 2010 and 2011 represented amounts that were approximately 46% and 47% of petitioners' adjusted gross income for each year, respectively.

Attached to petitioners' 2010 return was a Form 8283, Noncash Charitable Contributions, listing the names of four charitable organizations. Also attached to their 2010 return were 27 receipt*33 forms that petitioners obtained from three of the charitable organizations in support of petitioners' noncash charitable contributions. Most of the forms for 2010 were not signed or initialed by anyone, and none of the receipt forms were accompanied by any indication of the specific items claimed to be donated. The following table shows the organization name, the date, and the amount claimed to be contributed reflected on the receipt forms for 2010:

OrganizationDateAmount
Vietnam Veterans9/6$2,500
12/63,000
Lupis Foundation5/223,500
5/312,000
8/103,000
National Children's Center1/172,500
2/72,500
2/123,500
3/82,000
3/172,500
3/193,000
4/22,000
4/133,000
5/122,500
5/153,000

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