Robucci v. Comm'r

2011 T.C. Memo. 19, 101 T.C.M. 1060, 2011 Tax Ct. Memo LEXIS 28
CourtUnited States Tax Court
DecidedJanuary 24, 2011
DocketDocket Nos. 17309-08, 17310-08, 17311-08
StatusUnpublished
Cited by1 cases

This text of 2011 T.C. Memo. 19 (Robucci 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
Robucci v. Comm'r, 2011 T.C. Memo. 19, 101 T.C.M. 1060, 2011 Tax Ct. Memo LEXIS 28 (tax 2011).

Opinion

TONY L. ROBUCCI, ET AL., 1 Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Robucci v. Comm'r
Docket Nos. 17309-08, 17310-08, 17311-08
United States Tax Court
T.C. Memo 2011-19; 2011 Tax Ct. Memo LEXIS 28; 101 T.C.M. (CCH) 1060;
January 24, 2011, Filed
*28

Decision will be entered for respondent in docket No. 17309-08 and for petitioners in docket Nos. 17310-08 and 17311-08.

TR, a psychiatrist, sought advice from C, a C.P.A. specializing in tax planning for small businesses, as to how he might minimize the tax liability arising from his practice. C restructured TR's practice from a sole proprietorship to a limited liability company (LLC) with two members: TR, owning 95 percent, and a "manager" corporation (PC), owning 5 percent. C also organized a second corporation (W) to perform services associated with TR's practice. TR's 95-percent interest in LLC was divided between a 10-percent general partner interest and an 85-percent limited partner interest attributable to intangibles associated with the practice. TR paid self-employment tax only on distributions associated with his 10-percent general partner interest, whereas, as a sole proprietor, he was required to pay self-employment tax on the entire net income from his psychiatric practice. See secs. 1401 and 1402, I.R.C.

R alleges that PC and W are without substance and must be disregarded for Federal tax purposes. As a result, LLC becomes a single-member LLC, which, because it did not *29 elect association status, also must be disregarded for Federal tax purposes, and, therefore, TR's practice must be treated as a sole proprietorship for 2002-04. See sec. 301.7701-3(b)(1)(ii), Proced. & Admin. Regs. R's disregard of PC, W, and LLC would result in tax deficiencies against TR for 2002-04. R also seeks to impose a sec. 6662(a), I.R.C., penalty on TR.

1. Held: Because the organization of PC and W accomplished no significant business purpose and because PC and W were, in substance, hollow corporate shells formed primarily for tax avoidance, they are disregarded for Federal tax purposes and TR is taxable as a sole proprietor for 2002-04.

2. Held, further, TR is subject to the sec. 6662(a), I.R.C., penalty for 2002-04.

Howard O. Bernstein and Arlene M. French, for petitioners.
Matthew A. Houtsma, for respondent.
HALPERN, Judge.

HALPERN
MEMORANDUM FINDINGS OF FACT AND OPINION

HALPERN, Judge: These cases have been consolidated for purposes of trial, briefing and opinion. By notices of deficiency, respondent determined deficiencies in income tax and accuracy-related penalties as follows:

PetitionerYearDeficiencyPenalty Sec. 6662(a)
Tony L. Robucci2002$21,292
$4,258 (Dr. Robucci)2003
19,9783,9962004
15,7553,151T.L. Robucci &FYE 11/30/02
1,788358Associates, M.D.,FYE 11/30/03
834167P.C. (Robucci P.C.)FYE 11/30/04
1,020204Westsphere ManagementFYE 11/30/02
6,2561,251Corp. (Westsphere)FYE 11/30/03
4,322864FYE 11/30/04
3,246649

Unless *30 otherwise indicated, section references are to the Internal Revenue Code in effect for the years in issue, and Rule references are to the Tax Court Rules of Practice and Procedure. Dollar amounts have been rounded to the nearest whole dollar.

The issues for decision are (1) whether Robucci P.C. (the comember, along with Dr. Robucci, in Tony L. Robucci, M.D.

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2011 T.C. Memo. 19, 101 T.C.M. 1060, 2011 Tax Ct. Memo LEXIS 28, Counsel Stack Legal Research, https://law.counselstack.com/opinion/robucci-v-commr-tax-2011.