Stinnett v. Commissioner

1993 T.C. Memo. 429, 66 T.C.M. 750, 1993 Tax Ct. Memo LEXIS 441
United States Tax Court·Decided September 15, 1993·No. Docket No. 30047-89·Unpublished·Cited by 2 cases

Opinion

WILLIAM R. STINNETT AND LAVONNE C. STINNETT, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Stinnett v. Commissioner
Docket No. 30047-89
United States Tax Court
T.C. Memo 1993-429; 1993 Tax Ct. Memo LEXIS 441; 66 T.C.M. (CCH) 750;
September 15, 1993, Filed

*441 An order will be issued granting respondent's motion for partial summary judgment and denying petitioners' motion to dismiss for lack of jurisdiction.

For petitioners: Herald J. A. Alexander and Patsy A. Austin.
For respondent: Sergio Garcia-Pages and Jordan S. Musen.
PANUTHOS

PANUTHOS

MEMORANDUM OPINION

PANUTHOS, Chief Special Trial Judge: This matter is before the Court on respondent's motion for partial summary judgment and petitioners' motion to dismiss for lack of jurisdiction. The issue common to both motions concerns the validity of the deficiency notice issued in this case and the question of whether respondent "determined" a deficiency in petitioners' Federal income tax liability within the meaning of section 6212(a). 1

Background

On or about October 10, 1986, petitioners filed a joint Federal income tax return for the 1985*442 taxable year. Petitioners claimed a deduction for a charitable contribution in a form other than cash in the amount of $ 586,547 on Schedule A attached to their return. The deduction is explained in an attachment to the return which states in pertinent part:

Peachtree Condominiums, Information required to Support the, Charitable Easement deduction (Reg. #1.170A-1(a)(2))

1. Name and Address of Donee:

Easements Atlanta, Inc.

10 Park Place, S.E. Suite 350

Atlanta, Ga. 30303

2. Date of Contribution:

December 27, 1985

3. Conservation Easement Property Located at:

The Al Hambra Condominiums

2855 Peachtree Rd.

Atlanta, Ga.

4. Property Purchased by Donor (Sponsor) in:

November, 1983

5. Fair Market Value of Easement:

Two Million Dollars

($ 2,000,000)

6. Individual Percentage of Facade Donation:

Before Donation -$ 7,200,000
After Donation -$ 5,200,000
Donation Value -$ 2,000,000
Allocates Percentage29.33%
Donation Value$ 586,547

7. Owner's Name William R. Stinnett

8. Facade Appraisal: (Attached)

In addition, petitioners reported a rental loss of $ 164,391 on part I, line 26 of Schedule E attached to their*443 return. The particular rental property is identified as "Peachtree Condominiums - Atlanta, Georgia". On part II, Schedule E, petitioners reported net losses totaling $ 414,847.18 arising from petitioners' participation in no fewer than 14 partnerships.

Petitioners filed Form 8271 (Investor Reporting of Tax Shelter Registration) in connection with the charitable and rental loss deductions described above. On line 1, part I (Tax Shelter Information) of Form 8271, petitioners listed Peachtree Assoc., Ltd., under the heading "Tax Shelter Name", along with a tax shelter registration number and tax shelter taxpayer identification number. On line 1, part II (Tax Shelter Benefits Claimed or Reported by Investor on This Return) of Form 8271, petitioners listed deductions ($ 586,547) and losses ($ 164,391) as having been reported on Schedules A and B, respectively. 2

*444 On October 10, 1989, respondent issued a joint deficiency notice to petitioners determining a deficiency in and additions to their Federal income tax for the 1985 taxable year as follows:

Additions to Tax
DeficiencySec. 6653(a)(1)Sec. 6653(a)(2)
$ 366,919 $ 18,345.95 1 

The explanation of adjustments portion of the deficiency notice states in pertinent part:

SCHEDULE A. CONTRIBUTIONS

AN EXAMINATION OF THIS PARTNERSHIP INDICATES THAT YOUR DISTRIBUTIVE SHARE OF THIS PARTNERSHIP ITEM SHOULD BE CORRECTED AS SHOWN BELOW.

A REPORT WHICH SETS FORTH THE PARTNERSHIP ADJUSTMENTS HAS BEEN FURNISHED TO THE MANAGING PARTNER. PLEASE CONTACT SUCH INDIVIDUAL OR ORGANIZATION FOR ADDITIONAL INFORMATION.

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Stinnett v. Commissioner, 1993 T.C. Memo. 429, 66 T.C.M. 750, 1993 Tax Ct. Memo LEXIS 441 (tax 1993).

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