SHELTON v. COMMISSIONER
This text of 2002 T.C. Summary Opinion 9 (SHELTON v. COMMISSIONER) 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.
Opinion
*10 PURSUANT TO INTERNAL REVENUE CODE SECTION 7463(b), THIS OPINION MAY NOT BE TREATED AS PRECEDENT FOR ANY OTHER CASE.
GOLDBERG, Special Trial Judge: This case was heard pursuant to the provisions of
Respondent determined the following deficiencies and additions to tax with respect to petitioner's Federal income taxes:
Additions to Tax
Taxable Year Deficiency Sec. 6651(a)(1) Sec. 6654
1994 $ 11,118 $ 2,736.25 $ 566.94
1995 8,322 2,068.50 448.32
1996 9,203 1,721.50 352.78
1997 10,909*11 2,360.75 496.50
[3] After concessions, which are discussed below, the issues to be decided involve the correct amount of rental income for each taxable year at issue and the amount of allowable expense deductions. Petitioner failed to file Federal income tax returns and failed to make estimated tax payments for the taxable years 1994 to 1997, inclusive. As a result, respondent prepared substitute returns for each of the taxable years in issue, and in the notice of deficiency made the following adjustments:
Taxable Year
1994 1995 1996 1997
Wage income
received $ 48,857 $ 39,543 $ 43,045 $ 49,610
Interest income 20 28 24 --
Rental income 5,000 5,000 5,000 5,000
[4] Respondent computed the above deficiencies allowing petitioner the standard deduction and one exemption and using the tax table for married individuals filing separately.
The parties stipulated that petitioner received income during each of the taxable years as follows:
*12 Taxable Year
___________________________________________
1994 1995 1996 1997
____ ____ ____ ____
Wage income -- U.S. $ 45,546.33 $ 36,170.40 $ 39,020.91 $ 45,207.89
Postal Service
Wage income -- Baltimore Area 900.00 900.00 1,000.00 1,000.00
Local APWU
Interest income -- U.S. 20.00 28.00 24.00 -0-
Postal Service Credit Union
[6] Petitioner stipulated that he failed to file Federal income tax returns and failed to make estimated tax payments for the taxable years 1994 to 1997, inclusive.
The Court will treat the stipulations as concessions by the parties resolving the issues of unreported wage income and interest received for each of the taxable years at issue and the issues relating to the additions to taxes pursuant to sections 6651(a)(1) and 6654.
Some of the facts have been stipulated and are so found. The stipulation of facts, supplemental stipulation of facts, and the exhibits are*13 incorporated herein by this reference. At the time of the filing of the petition, petitioner resided in Finksburg, Maryland.
Petitioner has been employed by the U.S. Postal Service in the main post office in Baltimore for more than 12 years, including the taxable years in issue.
Gross income includes all income from whatever source derived.
During the taxable years in issue, petitioner owned residential rental property located at 3313 Taney Road, Baltimore, Maryland. The property consists of a two-story shingle house with a driveway. There is an apartment on each floor. Petitioner purchased the property in September 1985 and paid $ 47,764.95 for the dwelling and land.
During the years at issue, petitioner rented the first floor apartment to Mr. and Mrs. Lewis Reavis. During 1994 and 1995 the Reavises paid $ 200 per month rent. During 1996 and 1997 the Reavises paid $ 250 per month rent. Petitioner paid for all utilities. The second floor apartment has been vacant for some time. When both apartments were rented in 1993, petitioner received about $ 5,000 in rent.
At trial the Court received into evidence*14 four Schedules E, Supplemental Income and Loss, one for each taxable year in issue, prepared by petitioner for purposes of trial, reconstructing the rents received, and expenses relating to the Taney Road property. The schedules are summarized below:
_________________________________
____ ____ ____ ____
Rental income $ 2,400 $ 2,400 $ 3,000 $ 3,000
Expenses:
Insurance 458 460 510 510
Mortgage interest 9,935 10,396 9,953 9,683
Repairs 1,175 675 1,275 3,494
Supplies -0- 3,602 645 887
Taxes 1,781 1,844 2,078 4,363
Utilities 1,803 2,125 2,036 1,912
*15
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2002 T.C. Summary Opinion 9, 2002 Tax Ct. Summary LEXIS 10, Counsel Stack Legal Research, https://law.counselstack.com/opinion/shelton-v-commissioner-tax-2002.