Sweeney v. Comm'r

2016 T.C. Summary Opinion 32, 2016 Tax Ct. Summary LEXIS 33
CourtUnited States Tax Court
DecidedJuly 5, 2016
DocketDocket No. 7510-15S
StatusUnpublished

This text of 2016 T.C. Summary Opinion 32 (Sweeney 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
Sweeney v. Comm'r, 2016 T.C. Summary Opinion 32, 2016 Tax Ct. Summary LEXIS 33 (tax 2016).

Opinion

JOHN J. SWEENEY AND DONNA L. SWEENEY, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Sweeney v. Comm'r
Docket No. 7510-15S
United States Tax Court
T.C. Summary Opinion 2016-32; 2016 Tax Ct. Summary LEXIS 33;
July 5, 2016, Filed

An appropriate decision will be entered.

*33 John J. Sweeney and Donna L. Sweeney, Pro sese.
Patrick F. Gallagher, for respondent.
LAUBER, Judge.

LAUBER
SUMMARY OPINION

LAUBER, Judge: This case was heard pursuant to the provisions of section 7463 of the Internal Revenue Code in effect when the petition was filed.1 Pursu-ant to section 7463(b), the decision to be entered is not reviewable by any other court, and this opinion shall not be treated as precedent for any other case.

The Internal Revenue Service (IRS or respondent) sent petitioners a notice of deficiency for 2012 determining a tax deficiency of $10,555 and a penalty of $2,111 under section 6662(a) and (b)(2). The parties submitted before trial a stipulation of facts in which petitioners conceded that they had received $31,496 of unreported income during 2012 and in which respondent conceded that petitioners were entitled to certain additional deductions. These concessions generated a revised tax deficiency of $7,283, which the parties have stipulated to be correct. After these concessions, the only issue remaining for decision is whether petitioners are liable for an accuracy-related*34 penalty in the revised amount of $1,456. We conclude that they are.

Background

We incorporate the stipulation of facts and the related exhibits by this reference. Petitioners resided in Massachusetts when they filed their timely petition with this Court.

John J. Sweeney (petitioner) finished high school and had a talent for sales. About 25 years ago he began to specialize in the sale of long-term care insurance, working principally from his home. This type of insurance is offered by numerous underwriters, and petitioner worked with his clients to decide which product was best for them.

If a client purchased a long-term-care insurance product, the underwriter would pay commissions to petitioner for as long as the policy remained in force. The underwriters typically reported these commission payments to petitioner and the IRS on Forms 1099-MISC, Miscellaneous Income. Petitioner also received wage income from one or more underwriters. The underwriters reported this wage income to petitioner and the IRS on Forms W-2, Wage and Tax Statement.

During good years petitioner earned substantial commission income and often received Forms 1099-MISC from as many as 12 different underwriters. His business*35 declined significantly during the 2008-2010 recession as financially strapped consumers cut back on inessential purchases. This falloff caused petitioners to endure financial stress. They lost their home in 2011 and moved three times during the ensuing year. They filed for bankruptcy in 2012 and received a discharge in 2013.

For 2012 petitioner received a Form W-2 from Genworth North America reporting wages of $85,342. Petitioner wife, a nurse, received a Form W-2 from Jordan Hospital reporting wages of $69,251. Petitioners timely filed Form 1040, U.S. Individual Income Tax Return, for 2012, correctly reporting on line 7 combined wages of $154,593.

Petitioners included in their return a Schedule C, Profit or Loss From Business, reporting income and expenses of petitioner's insurance sales business. Petitioner there reported gross receipts of $4,207 from insurance sales and total expenses of $11,626. This produced a reported loss of $7,419.

The IRS received Forms 1099-MISC from four payors reporting that they had paid petitioner during 2012 commissions or other income in the following amounts:

PayorAmount
Genworth Life Ins. Co.$3,266
John Hancock Life Ins. Co.3,852
MedAmerica Ins. Co.3,574*36
Specialty Planners, Inc.25,011
 Total35,703

Because of the mismatch between these amounts and petitioner's reported Schedule C gross receipts, the IRS selected petitioners' 2012 return for examination. In a timely notice of deficiency the IRS determined that petitioners had omitted Schedule C gross receipts of $31,496 (i.e., $35,703 - $4,207). Petitioners concede that this adjustment is correct and that petitioner received unreported income of $31,496 from the four payors listed above.

At trial petitioners acknowledged that they had received by mail the two Forms W-2 reporting their wage income for 2012. But they testified that, because of their frequent moves during 2012, they had not received all of the Forms 1099-MISC reporting petitioner's commission income. Petitioner testified that he kept records for his insurance-sales business but said that these records consisted mainly of expenses. He testified that keeping track of his commission income "was impossible" because the checks arrived in small and variable amounts.

Petitioners had their 2012 return prepared by a professional return preparer with whom they had a lengthy relationship. They met with him to review the return before it*37 was filed.

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Cite This Page — Counsel Stack

Bluebook (online)
2016 T.C. Summary Opinion 32, 2016 Tax Ct. Summary LEXIS 33, Counsel Stack Legal Research, https://law.counselstack.com/opinion/sweeney-v-commr-tax-2016.