Steinberger v. Comm'r

2016 T.C. Memo. 104, 111 T.C.M. 1467, 2016 Tax Ct. Memo LEXIS 101
CourtUnited States Tax Court
DecidedMay 25, 2016
DocketDocket No. 2050-12
StatusUnpublished

This text of 2016 T.C. Memo. 104 (Steinberger 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
Steinberger v. Comm'r, 2016 T.C. Memo. 104, 111 T.C.M. 1467, 2016 Tax Ct. Memo LEXIS 101 (tax 2016).

Opinion

RICHARD STEINBERGER AND C. MARIA RIVA, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Steinberger v. Comm'r
Docket No. 2050-12
United States Tax Court
T.C. Memo 2016-104; 2016 Tax Ct. Memo LEXIS 101; 111 T.C.M. (CCH) 1467;
May 25, 2016, Filed

An appropriate decision will be entered.

*101 James S. MacBeth, for petitioners.
William F. Castor, for respondent.
PARIS, Judge.

PARIS
MEMORANDUM FINDINGS OF FACT AND OPINION

PARIS, Judge: Respondent determined deficiencies of $67,393, $48,902, and $16,346 in, and accuracy-related penalties of $13,478.60, $9,780.40, and $3,269.20 in relation to, petitioners' 2007, 2008, and 2009 Federal income tax, respectively. The issues for decision are whether: (1) petitioners' elections to group certain activities with their airplane activity as a single activity for section *105 183 purposes were valid elections for the years in issue;1*102 (2) the airplane activity on its own was entered into for profit for 2008 and 2009; and (3) petitioners are liable for accuracy-related penalties for the years in issue.2

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulated facts and facts drawn from stipulated exhibits are incorporated herein by this reference. Petitioners resided in Kansas when they timely filed their petition.

I. Petitioners' Medical Activities

Dr. Steinberger has practiced medicine since 1989, specializing in urology. He practiced as an employee and shareholder of Wichita Urology Group, P.A. (WUG), from its formation in 2001 and continued to do so during the years in *106 issue. He and six other doctors each owned an equal one-seventh interest in WUG during the years in issue. At no time from its formation until the*103 time of trial did Dr. Steinberger serve as WUG's president. His wife, Dr. Riva, specialized in pediatric pulmonology as an employee of the University of Kansas School of Medicine during the years in issue.3

WUG, after deducting certain common or shared expenses such as utilities, office overhead, and rent from its gross receipts, allocated its net receipts to its shareholders in two shares--a pro rata share and a production share. WUG allocated one-third of its net receipts equally to its shareholders as the pro rata share. It allocated the remaining two-thirds of its net receipts to its shareholders on the basis of their respective percentages of production--receipts from services provided by an individual shareholder divided by the total receipts from services provided by all shareholders--as the production share. Each shareholder's gross pay comprised his or her pro rata and production shares. WUG then deducted certain individual or personal expenses--such as malpractice insurance*104 premiums, retirement plan contributions, and travel expenses--from each shareholder's gross pay.

*107 All of the income WUG allocated to Dr. Steinberger for the years in issue was reported on Forms W-2, Wage and Tax Statement. For the years in issue, Dr. Steinberger also held ownership interests in Kansas Surgery & Recovery, LP, an outpatient surgery center; Via Christie Cyberknife, LLC, a radiosurgery center; and South Kansas Lithotripsy.4

II. Petitioners' Farming Activity

Petitioners also equally owned Pegasus Meadows, LLC, which was organized in 2001. In 2008 they used personal funds to purchase farmland in Iowa, which was held by Pegasus Meadows. Petitioners contracted with Farmers National Co. to supply a local farm manager to oversee the day-to-day operations of the farm.

III. Petitioners' Airplane Activity

For as long as Dr. Steinberger has been licensed to practice medicine, he has also been a licensed pilot and was so in the years in issue. In 2005 petitioners sought advice from Advocate Aircraft Taxation Co.5 (Advocate) about the purchase and operation of an airplane. Dr. Steinberger sought*105 Advocate's services *108 after doing Internet research and upon advice from the airplane dealer from whom a Cirrus SR 22 airplane (airplane) was purchased. In January 2006, in furtherance of that goal, Advocate formed two limited liability companies--Air Urology, LLC (AU), and AUI. AUI was taxed as a partnership. Dr. Steinberger had a 75% membership interest and Dr. Riva a 25% membership interest in AUI. AU was taxed as a disregarded entity. AUI was the sole member of and wholly owned AU. In February 2006 AU purchased the airplane. The airplane had a single engine and four seats, including crew seating. After AU purchased the airplane, Dr. Steinberger began flying it for both personal and work-related travel. He was the only person who flew the airplane during the years in issue.

A. Airplane Leases1. Lease Between AU and Dr. Steinberger Personally

AU, as owner, and Dr. Steinberger, as operator, entered into an aircraft rental agreement some time in 2006.6*106 The pertinent provisions of the agreement are explained infra.

The agreement states that Dr.

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Bluebook (online)
2016 T.C. Memo. 104, 111 T.C.M. 1467, 2016 Tax Ct. Memo LEXIS 101, Counsel Stack Legal Research, https://law.counselstack.com/opinion/steinberger-v-commr-tax-2016.