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BAILEY v. COMMISSIONER OF INTERNAL REVENUE
T.C. Memo. 2012-96
United States Tax Court.
Filed April 2, 2012.


 

 

On the dates given in the table below, Mr. Bailey and his S corporations filed their required returns,23 the IRS commenced examination on those returns; and the IRS issued notices of deficiency.
         Year        Form           Filing date         Notice of deficiency

         1993     1040             Oct. 17, 1994             Nov. 6, 2007
                  1120S (PBR)      Undated

         1994     1040             Oct. 15, 1995             Nov. 6, 2007
                  1120S (PBR)      Sept. 15, 1995

         1995     1040             Oct. 21, 1996             Nov. 6, 2007
                  1120S (PBR)      Oct. 13, 1996

         1996     1040             Oct. 22, 1997             Nov. 6, 2007
                  1120S (PBR)      Sept. 15, 1997

         1997     1040             Oct. 16, 1998             Nov. 6, 2007
                  1120S (PBR)      Sept. 15, 1998

         1998     1040             Oct. 19, 1999             Nov. 6, 2007
                  1120S (PBR)      Undated

         1999     1040             Oct. 16, 2000             Nov. 6, 2007
                  1120S (PBR)      Oct. 19, 2001

         2000     1040             Oct. 22, 2001             Nov. 6, 2007

         2001     1040             Oct. 22, 2002             Nov. 6, 2007
For the nine years at issue (1993 through 2001) Mr. Bailey reported income and losses from his law practice and related speaking services on Schedule C, Profit or Loss From Business, of his Forms 1040. His reported gross income for the nine-year period was $10.1 million, and his reported expenses were $9.5 million. For four years he reported net income and in five years net loss. On Schedules E, "Supplemental Income and Loss", attached to those Forms 1040, Mr. Bailey claimed net losses from BEI and PBR.
We find as follows concerning Mr. Bailey's reporting of specific items of income he had received and deductions he had claimed.24 In the years at issue, Mr. Bailey received the following additional items of income (not discussed above) that were not reported on his tax returns:
            Year                 Item                                 Amount

            1993      Barnett Bank interest income                      $207
                      Pension income                                   1,951

            1994      Fees deposited to Credit Suisse                 86,808

            1995      Deposits to office account                       3,955
                      California State income tax refund               1,469
                      Interest from three sources                        389

            1996      Mathematical error                             100,000
                      Speaking income                                 15,700
                      Boston fees                                     58,374

            1997      Deposits to office account                      33,696
                      Fees from client McCorkle                       26,713

            1998      Fees from client Vidu                            7,280
                      Speech income                                   20,000
                      Fees from client McCorkle                      110,000

                      Deposits to office account                       9,257
                      Payment from Phoenix                            11,288

            1999      Wages from Entertainment Partners                1,541
                      Interest from Principle Life                        61

            2000      Fees from client Dubey                          63,473
                      Deposits to office account                       7,526
                      Royalty income                                  26,500
                      Deposits to N. Bailey's account                 38,333

            2001      Unexplained items                               16,561
                      Pension income                                  69,527
                      Pass-through income from Tel-Share               2,423
(We do not sustain the following adjustments for additional income that were included in the IRS's notice of deficiency: $10,183 of barter income in 1995; $106,758 of checks returned to Credit Suisse in 1995; and royalty income of $20,000 in 1999.)
Mr. Bailey did not receive the following items of income that were mistakenly reported on his tax returns:


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