Phoudavong v. Department of Revenue

Oregon Tax Court·Decided December 30, 2013·No. TC-MD 130147N·Unpublished

Opinion

IN THE OREGON TAX COURT MAGISTRATE DIVISION Income Tax

SENGCHANH PHOUDAVONG ) and KUNGTHONG PHOUDAVONG, ) ) Plaintiffs, ) TC-MD 130147N ) v. ) ) DEPARTMENT OF REVENUE, ) State of Oregon, ) ) Defendant. ) FINAL DECISION

The court entered its Decision in the above-entitled matter on December 11, 2013. The

court did not receive a request for an award of costs and disbursements (TCR-MD 19) within 14

days after its Decision was entered. The court’s Final Decision incorporates its Decision without

change.

Plaintiffs filed their appeal challenging Defendant’s Notice of Deficiency Assessment for

the 2010 tax year, dated January 15, 2013. (See Ptfs’ Compl at 4; Def’s Ans at 1.) A trial was

held in the Oregon Tax Courtroom on October 21, 2013. De Nguyen (Nguyen), an Oregon

Licensed Tax Consultant, appeared and testified on behalf of Plaintiffs. Sengchanh Phoudavong

(Sengchanh); Kungthong Phoudavong (Kungthong)1; Patrick Singh (Singh); and Kongkeo

Chayasing (Chayasing), each testified on behalf of Plaintiffs.2 John Koehnke (Koehnke), Tax

Auditor, appeared and testified on behalf of Defendant. Plaintiffs’ Exhibits 1 through 8 and

Defendant’s Exhibits A through U and W were received without objection.

/// 1 When referring to a party in a written decision, it is customary for the court to use the last name. However, in this case, the court’s Decision recites facts and references to two individuals with the same last name, Phoudavong. To avoid confusion, the court will use the first name of the individual being referenced. 2 Sengchanh, Kungthong, and Chayasing testified through a court-provided Laotian interpreter.

FINAL DECISION TC-MD 130147N 1 I. STATEMENT OF FACTS

In the 2010 tax year, Sengchanh operated a sole proprietorship under the business name

“Seng Mushroom Products LLC.” (Def’s Ex A at 8.) Sengchanh “earn[ed] commissions by

buying wild mushrooms for two venders[:] Grand Hale Marine Products Co LTD [Grand Hale]

and Emperor Specialty Foods LTD [Emperor] locate[d] in Canada.” (Ptfs’ Ltr at 1, Sept 27,

2013.) Plaintiffs explained that the vendors provided funds to Sengchanh by “wire transfer[] to

his bank accounts” and Plaintiffs “cash[ed] out” those funds “to purchase mushrooms from the

pickers at Chemult and Springfield Stations.” (Id.) Sengchanh “was paid by commissions * * *

per pound of purchased mushrooms[.]” (Id.; see also Ptfs’ Ex 2.)

Kungthong testified that in 2010 Plaintiffs had four bank accounts. (See Ptfs’ Ex 3.) She

testified that vendors deposited money into Plaintiffs’ bank accounts and Plaintiffs withdrew that

money to purchase mushrooms. Kungthong testified that Plaintiffs re-deposited any money that

was not used to purchase mushrooms, although not necessarily in the same account from which

the money was withdrawn. (See id.)

Plaintiffs filed a federal Schedule C for the 2010 tax year reporting gross receipts of

$86,200 and total expenses of $71,216. (Def’s Ex A at 8.) Plaintiffs reported business expenses

including car and truck expenses; depreciation; legal and professional services; office expense;

rent or lease expense; taxes and licenses; travel; and other expenses. (Id.)

Koehnke audited Plaintiffs’ 2010 Schedule C and made adjustments to Plaintiffs’

Schedule C income and expenses. (See Def’s Exs C, E.) After Plaintiffs filed this appeal,

Koehnke reviewed additional information provided by Plaintiffs and revised his adjustments.

(See Def’s Exs D, F, W.) Koehnke utilized a bank deposit analysis to test Plaintiffs’ reported

income and determined that Plaintiffs understated their 2010 gross receipts by $64,500. (See

FINAL DECISION TC-MD 130147N 2 Def’s Ex W at 5; Def’s Ex D at 1.) Keohnke allowed business expenses of $23,733 for “business

expenses includ[ing] car and truck, depreciation, legal and professional services, propane and

electric, phone, and rent expenses.” (Def’s Ex W at 2.) Plaintiffs disagree with several of

Koehnke’s adjustments to their 2010 income and expenses. (See Ptfs’ Ltr at 1, Sep 27, 2013.)

A. Income

Plaintiffs reported gross receipts of $86,200 on their 2010 Schedule C. (Def’s Ex A at 8.)

Koehnke utilized a bank deposit analysis to test Plaintiffs’ reported income and determined that

Plaintiffs understated their 2010 gross receipts by $64,500. (See Def’s Ex W at 5; Def’s Ex D at

1.) Plaintiffs assert that “[c]ash withdraw[n] from transferred funds and deposited back should

not be considered as Taxable Income.” (Ptfs’ Ltr at 1, Sep 27, 2013.)

1. Payments from Emperor

Plaintiffs reported that in 2010 Emperor purchased 189,836.53 pounds of mushrooms and

paid Sengchanh commissions totaling $78,922.04. (Ptfs’ Ex 1 at 1; Ptfs’ Ltr at 1, Sept 27, 2013.)

A letter from Emperor dated September 24, 2013, states that in 2010 Emperor purchased 208,348

pounds; made “total advances” of $627,000; paid commissions totaling $75,922.04; and paid

bonuses totaling $3,000. (Ptfs’ Ex 2 at 1.)

Plaintiffs provided 79 commission worksheets dated from September 10, 2010, through

December 6, 2010. (Def’s Ex D at 118-196.) The worksheets do not identify the vendor, but

Sengchahn testified that the worksheets were for Emperor. Kungthong testified that the

worksheets include the “opening balance” of “cash available”; the weight and cost of mushrooms

purchased; the commission; and the “net purchase,” which is the total of the cost of mushrooms

plus the commission. (See, e.g., Def’s Ex D at 118.) Some of the worksheets identify the

commission rate as $0.40 per pound. (See id.) The letter from Emperor stated that the

FINAL DECISION TC-MD 130147N 3 commission rate in 2010 was $0.75 per pound. (Ptfs’ Ex 2 at 1.) Although the letter identifies

the commission rate as $0.75 per pound, the total commissions paid based on purchases indicates

a commission rate of $0.36 per pound, rounded.3 (See id.) The commission worksheets indicate

that, in total, 193,596.73 pounds of mushrooms were purchased and $77,410.21 in commissions

were paid. (Def’s Ex D at 118-196.) Those totals reflect a commission rate of $0.40 per pound.

Koehnke noted that Plaintiffs’ bank statements and spreadsheets indicate that at least

$25,388 worth of mushrooms were purchased between January 20, 2010, and February 17, 2010.

(Ptfs’ Ex 3 at 31.) No commission worksheets were provided for January or February 2010. No

explanation was provided for the lack of worksheets from January and February 2010.

2. Payments from Grand Hale

Plaintiffs reported that in 2010 Grand Hale purchased 48,735.02 pounds of mushrooms

and paid Sengchanh $6,250. (Ptfs’ Ex 1 at 1; Ptfs’ Ltr at 1, Sept 27, 2013.) A letter from Grand

Hale states that Sengchahn received three commissions of $1,500 in September 2010 and one

commission of $1,750 in October 2010. (Ptfs’ Ex 2 at 2.) Plaintiffs provided a “Vendor

QuickReport” for Grand Hale stating that between September 8, 2010, and October 25, 2010,

Grand Hale made advances totaling $331,000 to Plaintiffs.4 (Id. at 3.) Sengchanh testified that

he paid himself commissions out of the advances, but the Balance Detail sheet provided does not

identify any commission payments. (See Ptfs’ Ex 2 at 4.) Sengchahn testified that he also

prepared commission worksheets for Grand Hale, but those were not provided as exhibits.

///

/// 3 $75,922.04 “commissions paid” divided by 208,348 pounds of mushrooms purchased equals a commission rate of $0.3644 per pound. (Cf.

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