Stubblefield v. Commissioner

1996 T.C. Memo. 537, 72 T.C.M. 1447, 1996 Tax Ct. Memo LEXIS 554
CourtUnited States Tax Court
DecidedDecember 5, 1996
DocketDocket No. 5422-95
StatusUnpublished

This text of 1996 T.C. Memo. 537 (Stubblefield 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
Stubblefield v. Commissioner, 1996 T.C. Memo. 537, 72 T.C.M. 1447, 1996 Tax Ct. Memo LEXIS 554 (tax 1996).

Opinion

OLIVER E. STUBBLEFIELD, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Stubblefield v. Commissioner
Docket No. 5422-95
United States Tax Court
T.C. Memo 1996-537; 1996 Tax Ct. Memo LEXIS 554; 72 T.C.M. (CCH) 1447;
December 5, 1996, Filed
*554

Decision will be entered for respondent.

Oliver E. Stubblefield, pro se.
Nancy Graml, for respondent.
ARMEN

ARMEN

MEMORANDUM FINDINGS OF FACT AND OPINION

ARMEN, Special Trial Judge: This case was assigned pursuant to the provisions of section 7443A(b)(3) and Rules 180, 181, and 182. 1

For the taxable year 1991, respondent determined a deficiency in petitioner's Federal income tax in the amount of $ 3,385 and an accuracy-related penalty under section 6662(a) in the amount of $ 677.

The issues for decision are as follows:

(1) Whether petitioner failed to report self-employment income in the amount of $ 12,670;

(2) whether petitioner failed to report interest income in the amount of $ 526; and

(3) whether petitioner is liable for the accuracy-related penalty under section 6662(a).

The amount of petitioner's liability for self-employment tax and the amount of the deduction under section 164(f) to which petitioner is entitled are mechanical matters, the resolution of which will *555 depend on our disposition of the first enumerated issue.

FINDINGS OF FACT

Some of the facts have been stipulated, and they are so found. Petitioner resided in Houston, Texas, at the time that his petition was filed with the Court.

Petitioner's Occupation

Petitioner is a licensed barber. He attended barber college in the late 1980's, some time after graduating from high school in 1985.

Petitioner worked as a barber throughout the year in issue. Although he utilized a barber shop owned by his father, petitioner was self-employed and not an employee of his father.

The barber shop where petitioner worked was open for business Tuesday through Saturday throughout the year, except on major holidays such as New Year's Day, when it was closed for business. Petitioner did not work when the barber shop was closed.

Petitioner, his father, and a cousin worked as barbers at the barber shop, which had 4 barber chairs.

Petitioner was generally paid in cash by his customers for his services at the barber shop. Petitioner pocketed some of the cash and deposited the balance in one of the bank accounts that he maintained with Channelview Bank. See infra "Petitioner's Bank Accounts".

Petitioner's Enrollment *556 at the University of Houston

Petitioner attended, but did not graduate from, the University of Houston, where he matriculated in 1987. For the spring semester of 1989 petitioner enrolled in 4 courses for a total of 13 credits, and for the fall semester of that same year he enrolled in 3 courses for a total of 10 credits. Following the spring semester of 1990, petitioner was placed on academic suspension. Petitioner did not return to the University of Houston until the fall semester of 1991, at which time he enrolled in 2 courses for a total of 7 credits. Following the completion of this semester petitioner was again placed on academic suspension.

Petitioner's Bank Accounts

During the year in issue, petitioner maintained two bank accounts with Channelview Bank, formerly known as Port City Bank and now known as Prime Bank. One account was a checking account (acct. no. 53-162984-9) and the other account was a savings account (acct. no. 30-561183-0). Petitioner had sole signature authority over both the checking account and the savings account. 2*557

The vast majority of the deposits made to petitioner's bank accounts were made in cash. One of the few checks that was deposited bears the notation "haircut" and was in the amount of $ 15. None of the checks deposited was drawn by either petitioner's sister Cynthia S. Bell or petitioner's cousin Sharon B. Williams Rawls. 3

Petitioner's Credit Accounts

Petitioner possessed an American Express card in 1991, but he rarely used it. Petitioner never had a monthly balance greater than $ 100.

Petitioner also possessed a Citibank MasterCard in 1991, but he made no charges to his account during the year. Petitioner began 1991 with a balance of $ 631.22, which he paid off during the course of the year. The record does not disclose what goods or services had been charged to give rise to such balance.

Petitioner also possessed a Discover *558 card in 1991, but he used it only once during the year to make a single purchase in the amount of $ 23.70. Petitioner began 1991 with a balance of $ 447.26, which he paid off during the course of the year. The record does not disclose what goods or services had been charged to give rise to such balance.

Petitioner maintained an account with Foley's, a division of the May Department Stores Co., in 1991, but he made no charges to his account during the year. Petitioner began 1991 with a balance of $ 589.49, which he paid off during the course of the year. The record does not disclose what goods or services had been charged to give rise to such balance.

Petitioner maintained an account with McDuff's Appliances in 1991.

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Bluebook (online)
1996 T.C. Memo. 537, 72 T.C.M. 1447, 1996 Tax Ct. Memo LEXIS 554, Counsel Stack Legal Research, https://law.counselstack.com/opinion/stubblefield-v-commissioner-tax-1996.