Pettinato v. Commissioner

1995 T.C. Memo. 85, 69 T.C.M. 1962, 1995 Tax Ct. Memo LEXIS 86
United States Tax Court·Decided February 28, 1995·No. Docket Nos. 19769-81, 23543-81·Unpublished

Opinion

JOHN PETTINATO AND JUDY PETTINATO, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Pettinato v. Commissioner
Docket Nos. 19769-81, 23543-81
United States Tax Court
T.C. Memo 1995-85; 1995 Tax Ct. Memo LEXIS 86; 69 T.C.M. (CCH) 1962;
February 28, 1995, Filed

*86 Respondent's motion to strike will be granted and decisions will be entered for respondent.

John Pettinato, pro se.
For petitioner: Sidney A. Soltz, Joseph H. Thibodeau, and Kandace C. Gerdes, Judy Pettinato.
For respondent Sergio Garcia-Pages.

COLVIN

MEMORANDUM FINDINGS OF FACT AND OPINION

COLVIN, Judge: Respondent determined income tax deficiencies of $ 22,829.61 for 1976, $ 16,300.42 for 1977, $ 15,511.74 for 1978, and $ 18,218.61 for 1979.

The sole issue for decision is whether Judy McCalister, formerly known as Judy Pettinato, qualifies as an innocent spouse under section 6013(e). We hold that she does not.

Section references are to the Internal Revenue Code in effect during the years in issue. Rule references are to the Tax Court Rules of Practice and Procedure. References to petitioner are to Judy McCalister. References to Pettinato are to John Pettinato.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found.

Petitioners resided in Miami, Florida, when they filed the petition.

1. Petitioner

Petitioner graduated from high school around 1965. She married Pettinato on November 16, 1969, when she was 22 years old. Petitioners had one*87 child during their marriage. As discussed below, petitioners divorced in 1983.

2. The Auto Parts Stores

From 1976 to 1979, Pettinato owned five automobile parts stores: South Dade Auto Parts, Inc., a corporation with four stores, and A & J Auto Parts, a sole proprietorship. Petitioner was a corporate officer of South Dade Auto Parts, Inc. Petitioners both signed the notes used to finance the purchase of some of the stores.

Pettinato managed the auto parts stores. He decided what merchandise to buy, how to display it, which creditors to pay, and how to deliver merchandise. Petitioner did most of the bookkeeping, wrote most of the checks to the suppliers, and made most of the bank deposits. Pettinato reported his occupation as manager, and petitioner reported her occupation as bookkeeper on their Federal income tax returns for 1976 to 1979.

From 1976 to 1979, the five stores had monthly gross sales of $ 300,000 to $ 400,000 and were very profitable. Petitioner knew how profitable the stores were because she was usually present when the certified public accountant for the businesses, Benjamin Shechter (Shechter), reviewed the financial statements of the stores with *88 Pettinato each month.

Shechter was petitioners' personal and business accountant from about 1969 through the years in issue. Shechter established the bookkeeping system and did the accounting for the stores. Shechter went to the South Dade Auto Parts premises at least once a month to work with petitioner on bookkeeping for the stores. Shechter discussed personal finances such as tax advice including tax shelters with Pettinato and petitioner after he worked on their business records.

3. Petitioners' Family Finances

Petitioner kept the records for her and Pettinato's personal checking and savings accounts and wrote most of their personal checks. Petitioner gathered and organized documentation for petitioners' itemized deductions. She gave Shechter a list of itemized deductions to be claimed in petitioners' joint Federal income tax returns with supporting documents.

Imperial Finance, N.V. (Imperial) was a diamond mining tax shelter. Shechter visited Imperial's diamond mines in South Africa and brought back a pouch of diamonds for the promoter's brother in New York. Max Breslow, Shechter's business partner, inspected the mines the year before Shechter visited the mines. *89 Shechter invested in Imperial. Petitioners invested in Imperial and deducted losses from it in 1977, 1978, and 1979.

B & S Associates, which stands for Breslow and Shechter, was a partnership that invested in S.J. Mineral Associates, Ltd. (S.J.). S.J. was a coal mining tax shelter partnership. Petitioners invested in S.J. and deducted losses from it in 1976 and 1977. Shechter recommended to petitioner and Pettinato that they invest in Imperial and S.J. He explained the investments to petitioner and Pettinato and gave them material to read about the investments.

4. Petitioner's and Pettinato's Tax Returns

Shechter prepared petitioners' income tax returns for the years in issue. Petitioners reported the Imperial losses on a Schedule C in Pettinato's name on their returns for 1977, 1978, and 1979. They reported the coal mining shelter losses identified as B & S Associates on Schedule E of their 1976 and 1977 returns in both their names. Respondent determined that petitioners were not entitled to deduct expenses for S.J. and Imperial for the years in issue.

Petitioner's and Pettinato's joint tax returns from 1976-1979, as originally filed, are summarized as follows: *90

S.J.Imperial

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Pettinato v. Commissioner, 1995 T.C. Memo. 85, 69 T.C.M. 1962, 1995 Tax Ct. Memo LEXIS 86 (tax 1995).

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