Romanowski v. Comm'r

2013 T.C. Memo. 55, 105 T.C.M. 1379, 2013 Tax Ct. Memo LEXIS 56
CourtUnited States Tax Court
DecidedFebruary 20, 2013
DocketDocket No. 15562-10
StatusUnpublished

This text of 2013 T.C. Memo. 55 (Romanowski 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
Romanowski v. Comm'r, 2013 T.C. Memo. 55, 105 T.C.M. 1379, 2013 Tax Ct. Memo LEXIS 56 (tax 2013).

Opinion

WILLIAM T. ROMANOWSKI AND JULIE I. ROMANOWSKI, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Romanowski v. Comm'r
Docket No. 15562-10
United States Tax Court
T.C. Memo 2013-55; 2013 Tax Ct. Memo LEXIS 56; 105 T.C.M. (CCH) 1379;
February 20, 2013, Filed
*56

Decision will be entered for respondent as to the deficiencies and for petitioners as to the penalties.

Emily J. Kingston and Steven M. Katz, for petitioners.
Kaelyn J. Romey, for respondent.
GOEKE, Judge.

GOEKE
MEMORANDUM FINDINGS OF FACT AND OPINION

GOEKE, Judge: Respondent determined deficiencies in petitioners' Federal income tax of $1,305,230, 1 $830,302, $649,676, $808,297, $262,418, $742,051, and $154,762 for tax years 1998, 1999, 2000, 2001, 2002, 2003, and 2004, *56 respectively, as a result of disallowed deductions for expenses petitioners incurred in a horse-breeding operation during 2003 and 2004, and disallowed net operating losses (NOLs) carried back to years 1998, 1999, 2000, 2001, and 2002. Respondent also determined accuracy-related penalties under section 6662(a)2 of $261,046, $166,060, $129,935, $161,659, $52,484, $148,410, and $30,952 for 1998, 1999, 2000, 2001, 2002, 2003, and 2004, respectively. The issues for decision are:

(1) *57 whether petitioners are entitled to deductions for various horse-breeding expenses under either sections 162 or 212. We hold they are not; and

(2) whether petitioners are liable for the accuracy-related penalties under section 6662. We hold they are not.

FINDINGS OF FACT

At the time the petition was filed, petitioners resided in California. Petitioners were married during all relevant years.

1. Background and Introduction to the ClassicStar Program

Mr. Romanowski graduated from Boston College in 1988 with a degree in general management and an emphasis in marketing. After graduating from college *57 he played for nearly 16 years in the National Football League. Mr. Romanowski's career ended in September 2003 after he sustained a severe concussion. During Mr. Romanowski's football career Mrs. Romanowski cared for petitioners' children. Neither petitioner has significant experience in the field of tax.

From the late 1990s until early 2004 petitioners employed a financial adviser, Kathy Lintz. According to Mrs. Romanowski, Ms. Lintz "Basically * * * took care of everything" regarding petitioners' finances, including managing their portfolio and allocating them a monthly stipend. Ms. Lintz also *58 collected relevant information from petitioners in order to have their tax returns prepared by a certified public accountant (C.P.A.) and reviewed the completed tax returns before sending them on to petitioners. Ms. Lintz is a certified financial planner, but she is not an accountant or an attorney.

During late 2003 petitioners had some tax issues regarding a real estate investment they had made in Colorado. Ms. Lintz advised them to seek help from a tax attorney in the area and put them in touch with Rodney Atherton in October 2003. Mr. Atherton was a partner at Greenberg Traurig, LP (Greenberg Traurig), and worked in several areas of law, including tax. He received a Juris Doctorate *58 from Washburn University in 1989 and an LL.M. in tax from the University of Denver in 1990. He was not knowledgeable in the field of horse breeding.

During October 2003 Mr. Romanowski met with Mr. Atherton at the Greenberg Traurig office in Denver. At the meeting they discussed petitioners' real estate investment issues as well as certain other issues. Mr. Atherton told Mr. Romanowski about a horse-breeding business, ClassicStar, which had retained Greenberg Traurig in July 2003 in connection with certain *59 transaction and tax issues, including review of a tax opinion ClassicStar had received from another law firm. ClassicStar was working with Mr. Atherton, among others at Greenberg Traurig, to review the tax opinion.

Shortly after the meeting between Mr. Romanowski and Mr. Atherton, petitioners decided to retain Greenberg Traurig, and Mr. Romanowski expressed interest in receiving additional information about ClassicStar. Mr. Atherton provided petitioners with a variety of promotional materials regarding ClassicStar, as well as a booklet entitled "Due Diligence & Mare Lease Information Booklet" that contained information about the ClassicStar breeding program (program). None of the materials provided were prepared by Greenberg Traurig; rather, ClassicStar had given the materials to Mr. Atherton. Through these materials and conversations with Mr. Atherton, petitioners learned that the program involved *59 leasing mares owned by ClassicStar, which would provide boarding and care for the mares and breed the mares to stallions.

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2013 T.C. Memo. 55, 105 T.C.M. 1379, 2013 Tax Ct. Memo LEXIS 56, Counsel Stack Legal Research, https://law.counselstack.com/opinion/romanowski-v-commr-tax-2013.