Peake v. Comm'r

2016 T.C. Memo. 231, 112 T.C.M. 678, 2016 Tax Ct. Memo LEXIS 230
CourtUnited States Tax Court
DecidedDecember 21, 2016
DocketDocket No. 1387-15
StatusUnpublished

This text of 2016 T.C. Memo. 231 (Peake 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
Peake v. Comm'r, 2016 T.C. Memo. 231, 112 T.C.M. 678, 2016 Tax Ct. Memo LEXIS 230 (tax 2016).

Opinion

NATHAN A. PEAKE, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Peake v. Comm'r
Docket No. 1387-15
United States Tax Court
T.C. Memo 2016-231; 2016 Tax Ct. Memo LEXIS 230; 112 T.C.M. (CCH) 678;
December 21, 2016, Filed

An order granting respondent's motion and decision for respondent will be entered.

*230 Nathan A. Peake, Pro se.
William J. Gregg, for respondent.
CHIECHI, Judge.

CHIECHI
MEMORANDUM OPINION

CHIECHI, Judge: This case is before us on respondent's motion to dismiss for lack of prosecution (respondent's motion). We shall grant respondent's motion.

*232 Background

Many of the facts are deemed established pursuant to Rule 90(c).1 The record establishes and/or petitioner does not dispute certain other facts.

Petitioner resided in Maryland at the time he filed the petition.

At a time not established by the record, petitioner formed (1) Peake Management Group (PMG) to represent professional athletes, (2) Peake Enterprises (PE) to provide his personal services to professional athletes, and (3) Peake Construction.

During petitioner's taxable years 2002, 2003, 2004, 2005, 2006, and 2007, the years at issue, petitioner received the following amounts of taxable income from PE:

*233
YearAmount
2002$728,811.45
2003773,000.00
2004971,995.30
2005688,964.35
2006550,444.80
2007549,000.00
Total4,262,215.90

Petitioner's total income for each of the years at issue (shown above) consisted of (1) cash withdrawals from PE (cash withdrawals), (2) checks issued and/or account transfers from PE to petitioner, petitioner's family, and/or*231 third parties on petitioner's behalf (checks issued and/or account transfers), and/or (3) distributions from PE to petitioner and/or Peake Construction that were labeled loans (purported loans).

Petitioner did not have any Federal income tax (tax) withheld for any of his taxable years 2002, 2003, 2004, 2005, 2006, and 2007. Nor did petitioner make any estimated tax payments with respect to any of those years.

With respect to the cash withdrawals, during petitioner's taxable years 2002, 2003, 2004, 2005, 2006, and 2007, petitioner received taxable income as a result *234 of the following cash withdrawals from PE, each one of which was in an amount less than $10,000:

Number ofTotal
YearCash WithdrawalsAmount
200247$247,950
200330241,500
20041081,500
200544371,205
200632239,425
2007216,000
Total1651,197,580

PE did not issue to petitioner for any of petitioner's taxable years at issue Form W-2, Wage and Tax Statement (Form W-2), or Form 1099-MISC, Miscellaneous Income (Form 1099-MISC), with respect to any of petitioner's cash withdrawals.

With respect to the checks issued and/or account transfers, during 2002 until at least October 15, 2006, PMG earned income from its clients in the form of management*232 fees (PMG income). During that same period, petitioner directed (1) PMG to record in PMG's books and records only the expenses associated with earning the PMG income; (2) PE to record the PMG income in PE's books and records; (3) PE to pay that PMG income to petitioner, petitioner's spouse, and/or *235

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Bluebook (online)
2016 T.C. Memo. 231, 112 T.C.M. 678, 2016 Tax Ct. Memo LEXIS 230, Counsel Stack Legal Research, https://law.counselstack.com/opinion/peake-v-commr-tax-2016.