Wright v. Comm'r

2013 T.C. Memo. 129, 105 T.C.M. 1768, 2013 Tax Ct. Memo LEXIS 129
United States Tax Court·Decided May 20, 2013·No. Docket No. 26646-09·Unpublished·Cited by 2 cases

Opinion

JUANITA WRIGHT, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Wright v. Comm'r
Docket No. 26646-09
United States Tax Court
T.C. Memo 2013-129; 2013 Tax Ct. Memo LEXIS 129; 105 T.C.M. (CCH) 1768;
May 20, 2013, Filed
*129

Decision will be entered under Rule 155.

Juanita Wright, Pro se.
Brian S. Jones, for respondent.
COHEN, Judge.

COHEN
MEMORANDUM FINDINGS OF FACT AND OPINION

COHEN, Judge: Respondent determined a $4,846 deficiency and additions to tax of $1,020.37, $566.87, and $212.95 pursuant to sections 6651(a)(1) and (2) and 6654(a), respectively, for 2006. After concessions, the issues for decision are whether petitioner is entitled to deductions for a casualty loss, noncash charitable *130 contributions, attorney's fees, and tax preparation fees and whether she is liable for the additions to tax under section 6651(a)(1) and/or (2). All section references are to the Internal Revenue Code in effect for 2006, and all Rule references are to the Tax Court Rules of Practice and Procedure.

FINDINGS OF FACT

Some of the facts have been stipulated, and the stipulated facts are incorporated in our findings by this reference. Petitioner resided in Maryland when her petition was filed. During 2006, she received taxable income from wages, Social Security benefits, a Maryland State tax refund, interest, pension payments, and a pension distribution.

Petitioner filed a Form 1040, U.S. Individual Income Tax Return, for 2006 *130on October 9, 2009, and attached a Schedule A, Itemized Deductions. She claimed a total of $19,851 in itemized deductions, including medical expenses, cash charitable contributions, State and local taxes withheld, legal fees, safe deposit box rental, and investment expenses, which have now been stipulated.

The largest item claimed on petitioner's Schedule A, which is still in dispute, is a casualty loss of $10,739 ($15,000, reduced to reflect statutory *131 limitations of $100 and 10% of adjusted gross income). Petitioner's claim is based on water damage to her rented apartment, clothing, books, and other personal possessions on August 12, 2006.

Petitioner filed a claim for reimbursement for physical damage to her property and consequential damages, such as dry cleaning and storage fees, with Nationwide Insurance. She also claimed additional living expenses. Nationwide Insurance made payments to petitioner as follows:

DateAmountDesignation of Payment
9/19/2006$634.43Living expenses
9/20/2006233.07Living expenses
10/9/2006768.46Living expenses
10/12/2006750.00Personal property, papers, boxes, heater, books copies
11/21/20061,761.23Living expenses $861.23; personal property $900
12/12/2006611.19Personal property
9/18/20071,500.00Personal property
3/19/20082,051.51Living expenses

The *131$1,500 payment made on September 18, 2007, was made after an attorney employed by petitioner provided to the insurance company an itemized list of clothing damaged in the August 12, 2006, casualty.

*132 In 2006, petitioner paid $150 for preparation of her 2005 tax return and paid $500 to Jo Ann P. Myles for legal services relating to a landlord/tenant dispute.

Petitioner secured an extension of time to October 15, 2007, to file her 2006 Federal income tax return, and she paid $50 with the request for extension and $261 through withholding in 2006. On May 30, 2007, she fell and fractured her leg. She was in the hospital for about a week and then in a rehabilitation center for about three weeks. Afterwards her leg was in a cast for several months. She did not file a Federal income tax return for 2006 before October

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Wright v. Comm'r, 2013 T.C. Memo. 129, 105 T.C.M. 1768, 2013 Tax Ct. Memo LEXIS 129 (tax 2013).

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