Snyder v. Commissioner

1983 T.C. Memo. 626, 47 T.C.M. 12, 1983 Tax Ct. Memo LEXIS 163
CourtUnited States Tax Court
DecidedOctober 11, 1983
DocketDocket No. 11667-81.
StatusUnpublished

This text of 1983 T.C. Memo. 626 (Snyder 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.

Bluebook
Snyder v. Commissioner, 1983 T.C. Memo. 626, 47 T.C.M. 12, 1983 Tax Ct. Memo LEXIS 163 (tax 1983).

Opinion

KENNETH M. SNYDER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Snyder v. Commissioner
Docket No. 11667-81.
United States Tax Court
T.C. Memo 1983-626; 1983 Tax Ct. Memo LEXIS 163; 47 T.C.M. (CCH) 12; T.C.M. (RIA) 83626;
October 11, 1983.
Kenneth M. Snyder, pro se.
Ivan A. Gomez, for the respondent.

RAUM

MEMORANDUM FINDINGS OF FACT AND OPINION

RAUM, Judge: The Commissioner determined a $5,149.42 deficiency in petitioner's income tax, as well as a $257.47 addition to tax under section 6653(a), I.R.C. 1954, for 1977. The issues for decision are whether wages received by petitioner are income, whether petitioner is entitled to a charitable deduction for contributions to a*164 "church", and the correctness of the addition to tax.

FINDINGS OF FACT

At the time his petition was filed, petitioner resided in West Palm Beach, Florida. Petitioner's Federal income tax return for 1977 does not indicate the date on which it was received by the Internal Revenue Service or the service center with which it was filed, but petitioner testified that a Form 1040 was "submitted" to the "Director of the Internal Revenue Service at Austin, Texas" on or about "February 28th", presumably referring to 1978.

During 1977, petitioner was employed primarily by Universal Maintenance and Construction Company in Houston, Texas, as a carpenter and field superintendent. Petitioner also performed services for Joint Ventures, Inc., another company in the Houston area. The wage and tax statements (Forms "W-2") which petitioner received from these companies for 1977 disclose "Wages, tips, and other compenstion" of $20,352.04 from Universal Maintenance and Construction Company and $30 from Joint Ventures, Inc.

Petitioner received from the Basic Bible Church of America a "Certificate of Ordination" dated December 9, 1977, certifying that the "Rev. Kenneth M. Snyder D.D." was "ordained"*165 a "Minister" of that church.This "degree" was honorary, as petitioner was not required to complete any educational courses to receive it; in fact, it appears that the Basic Bible Church has neither a faculty nor a student body, and that it awards only honorary degress.

Prior to his "ordination", petitioner met with Jerome Daly, the "archbishop" of the Basic Bible Church, and made a "donation" to Mr. Daly of approximately $750 "to help me establish my common law corporation because of my beliefs in the principles".

On December 12, 1977, petitioner executed a "Vow of Poverty", in which he purported to make a gift to "The Order of Almighty God, A Religious Order, Chapter No 7920" of the Basic Bible Church, of all of his possessions and income. Nevertheless, at least during 1977 none of his funds were transferred to an account in the name of his "church", and all of his compensation checks were either cashed or deposited in a bank account on which he and his wife were authorized to draw. These funds were used to cover the entire range of petitioner's living expenses, including rent, utilities, automobile, clothing, and the support of petitioner's children.

Petitioner's "church",*166 chapter 7920 of the Basic Bible Church, had neither a specific congregation nor regularly scheduled meetings. Petitioner did have some meetings in his home, but otherwise his functions as a minister appear to have been relatively minimal. Petitioner has apparently performed two marriage ceremonies, but these were in 1981 or 1982.

On the 1977 Form 1040 "submitted" to the Internal Revenue Service by petitioner, the amount of $20,382.04 was shown as "Wages, salaries, tips, and other employee compensation". On schedule A of that return, a $20,382.04 deduction was claimed for contributions, with the explanation that "Entire salary of $20,382.04 was turned over to Basic Bible Church of America and its Religious Order, The Order of Almighty God". On July 14, 1978, the Austin, Texas, Service Center received from petitioner a Form 1040X, "Amended U.S. Individual Income Tax Return", as well as another 1977 Form 1040 with the word "AMENDED" typed at the top of page 1. On both of these latter forms, petitioner indicated that the $20,382.04 which he had previously reported as "Wages, salaries, tips, or other employee compensation" was "tax exempt", and that his income was $0.

In the*167 statutory notice of deficiency, the Commissioner increased petitioner's 1977 income by $20,382.04, explaining that petitioner "received wages of $20,382.04 in 1977 which you stated on your tax return to be tax exempt and deducted as contributions. These amounts have been determined to be taxable income. The deductions as contribution is disallowed as these have not been verified as allowable deductions". This increase in petitioner's income resulted in a tax deficiency of $5,149.42. The Commissioner also determined that part of the underpayment of tax was due to negligence or intentional disregard of rules and regulations, and consequently a five percent addition to tax of $257.47 was "asserted".

OPINION

On his "amended" 1977 tax returns, petitioner made vague and unsubstantiated claims that his income was "tax exempt". Petitioner has offered no further justification for this position on brief, switching instead to a contention that he received no income in 1977 because the $20,382.04 was paid to him in exchange for his labor in which he had a basis equal to its fair market value. Thus, according to petitioner, there was no "gain" or "loss" on the exchange and consequently*168 no income.

We reject the positions taken by petitioner in his "amended" returns and on brief. The $20,382.04 received by petitioner in 1977 was unquestionably compensation for his services, which must be included within his gross income under

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Bluebook (online)
1983 T.C. Memo. 626, 47 T.C.M. 12, 1983 Tax Ct. Memo LEXIS 163, Counsel Stack Legal Research, https://law.counselstack.com/opinion/snyder-v-commissioner-tax-1983.