Snyder v. Comm'r

2009 T.C. Memo. 97, 2009 Tax Ct. Memo LEXIS 97
CourtUnited States Tax Court
DecidedMay 14, 2009
DocketNo. 15222-05
StatusUnpublished
Cited by1 cases

This text of 2009 T.C. Memo. 97 (Snyder 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
Snyder v. Comm'r, 2009 T.C. Memo. 97, 2009 Tax Ct. Memo LEXIS 97 (tax 2009).

Opinion

OWEN D. SNYDER AND LILLIE M. SNYDER, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Snyder v. Comm'r
No. 15222-05
United States Tax Court
T.C. Memo 2009-97; 2009 Tax Ct. Memo LEXIS 97;
May 14, 2009, Filed
*97
Owen D. Snyder and Lillie M. Snyder, Pro sese.
Catherine S. Tyson, for respondent.
Marvel, L. Paige

PAIGE L. MARVEL

MEMORANDUM FINDINGS OF FACT AND OPINION

MARVEL, Judge: Respondent determined deficiencies and accuracy-related penalties under section 6662(a)1 with respect to petitioners' Federal income tax as follows:

Penalty
YearDeficiencysec. 6662
1999 $ 17,633 $ 3,526.60
200014,9662,993.20
200114,3862,877.20

After a concession, 2 the issues for decision are: (1) Whether petitioners are entitled to depreciation deductions claimed on Schedules C, Profit or Loss From Business, of their Forms 1040, U.S. Individual Income Tax Return, relating to a pay phone and automatic teller machine (ATM) activity for 1999-2001; (2) whether gross receipts from the pay phone and ATM activity that petitioners reported on their 1999-2001 Schedules C should be reclassified as other income; (3) whether petitioners are entitled to claim a disabled access credit under section 44 for 1999-2001; and (4) whether petitioners *98 are liable for the section 6662(a) accuracy-related penalty for 1999-2001.

FINDINGS OF FACT

The parties have stipulated some of the facts, which we incorporate in our findings by this reference. Petitioners resided in Missouri when the petition was filed.

Background

Owen D. Snyder (Mr. Snyder) has been preparing income tax returns since 1960. Mr. Snyder obtained a degree in economics from Washington University and attended Washington University Law School for 1 year. He joined the military, and after receiving an honorable discharge, he took summer law courses at the University of Wisconsin but never obtained a law degree. Thereafter, Mr. Snyder worked for General American Life Insurance Co. and then A.G. Edwards.

While at A.G. Edwards, Mr. Snyder had the opportunity to take over his aunt's tax preparation business after she suffered a stroke. He attended night courses taught by a tax attorney at Washington University and began his tax preparation business. In 1966 Mr. Snyder became an enrolled agent entitled to practice before the Internal Revenue Service, *99 and his enrollment remains in good standing.

Around 1997 Mr. Snyder received a postcard from Alpha Telcom, Inc. (Alpha Telcom), marketing a "New Tax Favored Program" that promised to "Eliminate Your Client's Tax Problems" and also promised 10- to 17-percent commissions to sales representatives. Mr. Snyder contacted Alpha Telcom by telephone and spoke with Alpha Telcom's chief marketer, Charles Tummino (Mr. Tummino). Mr. Snyder told Mr. Tummino that he was not interested because he knew about the Paramount pay phone litigation where an investment contract for pay phones was deemed a security, but Mr. Tummino assured Mr. Snyder that Alpha Telcom's program addressed the problems associated with the Paramount pay phone litigation. Alpha Telcom sent him a video and a brochure explaining the pay phone program.

Mr. Snyder again spoke with Mr. Tummino and requested something signed in writing from an attorney or a certified public accountant involved in the Alpha Telcom program. Mr. Snyder received various forms of information from Alpha Telcom, including Alpha Telcom brochures, several letters from attorneys and from Perkins & Co., P.C., an accounting and business consulting firm, 3 addressed *100 to Paul Rubera, president of Alpha Telcom, and resumes of two attorneys who were supposedly involved in the Alpha Telcom program. Mr. Snyder also paid for and received a Dun & Bradstreet Business Information Report regarding Alpha Telcom.

Mr. Snyder became an authorized sales representative for Alpha Telcom after taking an examination. He provided information about the Alpha Telcom program to some of his clients. After some of them invested in the program, Mr. Snyder began receiving commissions of 10 to 18 percent of his clients' investments in the Alpha Telcom program. Mr. Snyder advised the clients on the benefits of depreciation deductions and of the disabled access credit in connection with their investments in the Alpha Telcom program.

Mr. Snyder invested approximately $ 49,000 of his own money in 11 Alpha Telcom pay phones. He never personally saw the pay phones he purchased 4 but relied on photographs of the phones provided by Alpha Telcom. Mr.

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Related

Doherty v. Comm'r
2009 T.C. Memo. 99 (U.S. Tax Court, 2009)

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Bluebook (online)
2009 T.C. Memo. 97, 2009 Tax Ct. Memo LEXIS 97, Counsel Stack Legal Research, https://law.counselstack.com/opinion/snyder-v-commr-tax-2009.