Wicks v. United States

304 F. Supp. 3d 1079
CourtDistrict Court, N.D. Oklahoma
DecidedJanuary 22, 2018
DocketCase No. 16–CV–0638–CVE–FHM
StatusPublished
Cited by6 cases

This text of 304 F. Supp. 3d 1079 (Wicks v. United States) is published on Counsel Stack Legal Research, covering District Court, N.D. Oklahoma primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Wicks v. United States, 304 F. Supp. 3d 1079 (N.D. Okla. 2018).

Opinion

CLAIRE V. EAGAN, UNITED STATES DISTRICT JUDGE

This is an action for a tax refund. Plaintiffs Paul. F. Wicks and Elena A. Wicks and defendant United States of America on behalf of the Internal Revenue Service (IRS) dispute whether it was lawful for plaintiffs to claim losses from their cattle ranching activity on their 2010 and 2011 federal income tax returns. Before the Court is defendant's motion for summary judgment (Dkt. # 29), which presents two questions: in tax years 2010 and 2011, were plaintiffs, under the nine factor, objective test enumerated in Treas. Reg. § 1.183-2(b), engaged in their cattle ranching activity for profit? And, if not, are they liable for the accuracy-related penalty that the IRS imposed on them pursuant to 26 U.S.C. § 662 ? Also before the Court are plaintiffs' motion to strike evidence (Dkt. # 36) and defendant's motion to exclude the report and testimony of plaintiffs' expert (Dkt. # 45).

I. Background

The following facts are undisputed: plaintiff Paul Wicks (Wicks) owns Wicks and Associates Industrial Services, LLC (Wicks and Associates), a highly profitable, twenty-year-old Tulsa company that provides mechanical inspection services for major oil refineries and gas plants. Dkt. # 29-6, at 4, 49.1 As the owner of Wicks and Associates, Wicks manages all of the company's supervisors and spends anywhere from ten to fifty hours a week doing so. Id. at 49-50. He has an associate's degree in applied science and has obtained several certifications from the American *1086Petroleum Institute. Id. at 5. Wicks and Associates has anywhere from thirty to eighty employees, including an individual with an accounting degree who handles payroll, invoicing, deposits, and taxes. Id. at 50. The company maintains a corporate bank account and uses QuickBooks accounting software. Id. at 41, 68. According to Wicks, one of the reasons his company is so profitable is because his team operates "extremely efficiently." Id. at 51.

Since 2006, Wicks has reported $9,926,304 in adjusted gross income on his tax returns, an average of $992,630 per year. Dkt. # 29-2, at 30-191; Dkt. # 29-3, at 1-83.2 In 2010 and 2011, Wicks's net worth was approximately $3,000,000. Id. at 85. Currently, Wicks has $2 to $3 million in savings and a net worth of approximately $7 million. Dkt. # 29-6, at 60-61.

In addition to his work at Wicks and Associates, Wicks built and maintains a cattle ranch-of which he is the sole owner and operator-in Nowata County, Oklahoma. Dkt. # 29-6, at 24. According to Wicks, he ventured into cattle ranching to "make a profit." Dkt. # 29-6, at 25. Every year since 1997 (when he began cattle ranching), however, he has claimed the following losses from cattle ranching as business deductions on his federal income tax returns, totaling $807,380:

Gross Receipts Expense Net 1997 $ - $10,459.00 $(10,459.00) 1998 $ - $9,547.00 $(9,547.00) 1999 $637.00 $25,027.00 $(24,390.00) 2000 $ - $18,182.00 $(18,182.00) 2001 $ - $31,028.00 $(31,028.00) 2002 $ - $31,701.00 $(31,701.00) 2003 $159.00 $41,806.00 $(41,647.00) 2004 $159.00 $83,283.00 $(83,124.00) 2005 $2,026.00 $37,751.00 $(35,725.00) 2006 $3,302.00 $44,444.00 $(41,142.00) 2007 $7,659.00 $23,800.00 $(16,141.00) 2008 $1,934.00 $34,575.00 $(32,641.00) 2009 $155.00 $42,954.00 $(42,799.00) 2010 $155.00 $49,133.00 $(48,978.00) 2011 $ - $103,706.00 $(103,706.00) 2012 $159.00 $50,470.00 $(50,311.00) 2013 $16,257.00 $61,576.00 $(45,319.00) 2014 $ - $58,067.00 $(58,067.00) 2015 $ - $82,473.00 $(82,473.00) __________ ___________ _____________ $32,602.00 $839,982.00 $(807,380.00)

Dkt. # 29-2, at 30-191; Dkt. # 29-3, at 1-83; Dkt. # 29-4, 1-9; Dkt. # 29-6, at 57.

*1087Since 2006, Wicks has presumably saved thousands of dollars of income tax by reporting his losses from cattle activity. Dkt. # 29-5, at 8.3

In building and maintaining his cattle ranch, Wicks has not: written a business plan or financial projections (Dkt. # 29-3, at 188);4 used QuickBooks or any other accounting software (id. at 190); created a separate bank account (Dkt. # 29-6, at 43); executed any written contracts (Dkt. # 29-3, at 190); formed a business entity (Dkt. # 29-6, at 44); marketed or promoted his cattle operation (id. at 68); insured his cattle against catastrophic loss (id. at 35-36);5 or consulted a financial advisor (id. at 26). And before starting his ranch in 1997, Wicks's only experience with cattle was "feeding [and] working" them as a child. Id. at 25.

On the other hand, in building and maintaining his cattle ranch, Wicks has done the following:

• In 1997, purchased eighty acres of land with a dilapidated barn and unusable fence and repaired these features. Dkt. # 29-3, at 87;
• In 1998, purchased two longhorn heifers. Id.;
• In 2001, built a new barn. Id.;
• In 2002, bought an additional one hundred and eighty acres of land, adjacent to the original eighty acres, to increase his cattle herd and "the potential profitability from [his] cattle activities." Id

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304 F. Supp. 3d 1079, Counsel Stack Legal Research, https://law.counselstack.com/opinion/wicks-v-united-states-oknd-2018.