Walker v. Comm'r

2017 T.C. Summary Opinion 50, 2017 Tax Ct. Summary LEXIS 50
Procedural entryThis page is a short order in Walker v. Comm'r. Read the opinion of the Court — 108 T.C.M. 282
United States Tax Court·Decided July 12, 2017·No. Docket No. 30549-15S.·Unpublished

Opinion

CAROL SUE WALKER AND THEODORE PAUL WALKER, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Walker v. Comm'r
Docket No. 30549-15S.
United States Tax Court
T.C. Summary Opinion 2017-50; 2017 Tax Ct. Summary LEXIS 50;
July 12, 2017, Filed

Decision will be entered under Rule 155.

*50 Carol Sue Walker and Theodore Paul Walker, Pro sese.
Janice B. Geier, Peter R. Hochman, David Lau, and Erik W. Nelson, for respondent.
PANUTHOS, Chief Special Trial Judge.

PANUTHOS
SUMMARY OPINION

PANUTHOS, Chief Special Trial 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 Pursuant 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.

In a notice of deficiency dated September 18, 2015, respondent determined a deficiency of $12,924 in petitioners' 2014 Federal income tax and a section 6662(a) accuracy-related penalty of $2,584.

After concessions,2 the issue for decision is whether petitioners are required to repay advance premium tax credit payments totaling $12,924 for 2014.

Background

Some of the facts have been stipulated, and we incorporate the stipulation of facts by this reference. Petitioners resided in California when their petition was timely filed.

Petitioners enrolled in health insurance for 2014 though Covered California, a health insurance Marketplace.3 Petitioners were enrolled in a health insurance plan with Anthem Blue Cross for all of 2014.*51 Petitioner's monthly premium for Anthem Blue Cross was $1,378. Petitioners elected to receive a monthly advance premium tax credit (APTC) of $1,077 to cover part of the cost of the monthly premium; this amount was paid on behalf of petitioners directly to Anthem Blue Cross.

Petitioners timely filed for 2014 a joint Form 1040A, U.S. Individual Income Tax Return, dated February 4, 2015. Petitioners reported (1) wage income of $16,918, (2) a taxable pension or annuity distribution of $27,192, and (3) Social Security income of $31,089, of which $19,307 was taxable. Petitioners reported adjusted gross income (AGI) of $63,417.4

After the filing of the 2014 return, petitioners separately mailed a Form 1095-A, Health Insurance Marketplace Statement, and a Form 8962, Premium Tax Credit (PTC), each of which respondent received on October 14, 2015. Petitioners' Form 1095-A reflected monthly APTC payments of $1,077, totaling $12,924. Petitioners' Form 8962 reported modified adjusted gross income (MAGI) of $75,199, which included the nontaxable portion of Social Security income and reflected a family size of two persons.5

In the notice of deficiency respondent determined that petitioners were ineligible*52 for the PTC because their MAGI for 2014, $75,199, exceeded 400% of the Federal poverty line amount for their family size. Petitioners timely filed a petition in which they asserted that they were informed by Covered California that they qualified for insurance coverage through Anthem Blue Cross for 2014. Petitioners also assert that they would not have purchased insurance through Covered California if they had known that they did not qualify for the PTC.

Discussion

In general, the Commissioner's determination set forth in a notice of deficiency is presumed correct, and the taxpayer bears the burden of proving that the determination is in error. Rule 142(a); Welch v. Helvering, 290 U.S. 111, 115 (1933). Pursuant to section 7491(a), the burden of proof as to factual matters shifts to the Commissioner under certain circumstances. Petitioners did not allege or otherwise show that section 7491(a) applies. Seesec. 7491(a)(2)(A) and (B). Therefore, petitioners bear the burden of proof. SeeRule 142(a).

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Related

Welch v. Helvering
290 U.S. 111 (Supreme Court, 1933)
Michaels v. Commissioner
87 T.C. No. 81 (U.S. Tax Court, 1986)