Romano-Murphy v. Comm'r

2012 T.C. Memo. 330, 104 T.C.M. 656, 2012 Tax Ct. Memo LEXIS 346
United States Tax Court·Decided November 29, 2012·No. Docket No. 27236-09L·Unpublished

Opinion

LINDA J. ROMANO-MURPHY, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Romano-Murphy v. Comm'r
Docket No. 27236-09L
United States Tax Court
T.C. Memo 2012-330; 2012 Tax Ct. Memo LEXIS 346; 104 T.C.M. (CCH) 656;
November 29, 2012, Filed
*346

Decision will be entered for respondent.

Linda J. Romano-Murphy, Pro se.
Kimberly A. Daigle, for respondent.
MORRISON, Judge.

MORRISON
CONTENTS
FINDINGS OF FACT
1. Formation and Operation of Nurses PRN, LLC (i.e. NPRN)
2. The Timing of NPRN's Deposits of Its Employment Taxes
3. NPRN's Payments of Employment Taxes Before First Quarter 2005 (Including Alleged Overpayments for Fourth Quarter 2003 and Fourth Quarter 2004)
*331 4. NPRN's Temporary Merger With Nurses Staffing, LLC, in June 2004
5. NPRN's August 2004 Negotiations With PRN Health Services, Inc
6. December 2004 Letter of Intent From Medical Staffing Solutions, Inc. (i.e. MSSI)
7. NPRN's January 2005 Securities Exchange Agreement With MSSI
8. Alleged Overpayment of NPRN's Taxes for First Quarter 2005
9. NPRN's Employment-Tax Liability for Second Quarter 2005 as Subdivided Into the Three Categories of Employment Taxes
10. NPRN's Semiweekly Deposits for Second Quarter 2005
11. NPRN's June 16, 2005 Asset-Purchase Agreement With MSSI and Nurses PRN Acquisition Corp. (i.e., NAC)
12. Completion of the Sale of Assets to MSSI
13. The Agreement Between NPRN and the IRS Regarding the Application of the $1.6 Million Payment
14. The Alleged Letter to Gary Greene Regarding the Application of the $1.6 Million Payment
15. The Application of the $1.6 Million Payment by the IRS
16. Whether the IRS's Application of $740,712.89 of the $1.6 Million Payment Caused a Tax Overpayment for First Quarter 2004
17. The Form 941 for Second Quarter 2005
18. Romano-Murphy's Awareness of NPRN's Employment-Tax Liability for Second Quarter 2005
*332 19. NAC Begins Operations; Renamed NOC
20. The $70,000 of Payments by NOC of NPRN's Taxes That Were Applied by the IRS Against Fourth Quarter 2003, First Quarter 2004, and Second Quarter 2004
21. After 2005
OPINION
I. Applicable Legal Principles
A. Collection-Review Hearing
B. An Employer's Liability for Employment Taxes and FUTA Taxes
II. The Unpaid Amount of NPRN's Trust-Fund Taxes for Second Quarter 2005
A. Application of the $189,316.63 in Semiweekly Deposits
B. Application of the $73,783.00 Payment
C. Application of the Supposed $17,866.99 Overpayment From First Quarter 2004
D. The $70,000 in Payments by NOC That Were Applied by the IRS Against Tax Liabilities for Fourth Quarter 2003, First Quarter 2004, and Second Quarter 2004
E. Alleged Overpayments of $12,009.07 From Fourth Quarter 2003, Fourth Quarter 2004, and First Quarter 2005
III. Romano-Murphy Is a Responsible Person Under Section 6672
IV. Willfulness
*333 A. Romano-Murphy Acted Willfully in Refusing To Pay Trust-Fund Taxes to the Federal Government
B. Romano-Murphy Did Not Make Reasonable Efforts To Pay NPRN's Unpaid Trust-Fund Taxes
1. NPRN's June 2004 Temporary Merger With Nurses Staffing, LLC, and Its August 2004 Negotiations With PRN Health Services, Inc
2. The Alleged Assumption by NAC of NPRN's Second Quarter 2005 Trust-Fund-Tax Liability
3. Whether Romano-Murphy's Refusal To Pay the Trust-Fund Taxes Was Justified by the Subsequent Payment of $1.6 Million
4. Romano-Murphy's Efforts To Sell NOC's Assets in 2006
5. Romano-Murphy's Filing of a Proof of Claim in the Bankruptcy of MSSI
6. Accurate Reporting and Cooperation With the IRS
C. Alleged Errors Mad

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Romano-Murphy v. Comm'r, 2012 T.C. Memo. 330, 104 T.C.M. 656, 2012 Tax Ct. Memo LEXIS 346 (tax 2012).

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