Lufkin v. Commissioner
Opinion
*410 In 1981, Ps allegedly operated a local congregation of the Universal Life Church of Modesto, Calif. Ps allege that they made contributions to such local congregation and claimed a deduction therefor.
(2) Ps were liable for an addition to tax under
(3) The United States is entitled to an award for damages from Ps under
MEMORANDUM FINDINGS OF FACT AND OPINION
SIMPSON,
*412 FINDING OF FACT
None of the facts have been stipulated. However, certain facts have been deemed admitted pursuant to
The petitioners, Robert K. and Linda M. Lufkin, husband and wife, were legal residents of Tigard, Ore., at the time they filed their petition in this case. They filed their joint Federal income tax return for 1981 with the Internal Revenue Service Center, Ogden, Utah.
During 1981, Mr. Lufkin was employed full-time by Benjamin Franklin Federal Savings and Loan in Portland, Ore. Mrs. Lufkin held two jobs during 1981: she was employed by Rankin, McMurry, VavRosky, and Doherty of Portland, Ore., and by Employers Insurance of Wausau, A Mutual Company, of Portland, Ore.
The petitioners allege that during 1981, they operated a local congregation of the Universal Life Church, Inc., of Modesto, Calif. (ULC), and that Mr. Lufkin served as the minister of such local congregation. The petitioners' personal residence served as the location of the local congregation. However, during 1981, the petitioners did not conduct*413 any religious ceremonies or services at their local congregation nor anywhere else. 3 Moreover, the petitioners' local congregation did not have any membership during 1981 for which the petitioners could perform any religious functions. Overall, the petitioners performed no services of any kind for their local congregation during 1981.
Mr. Lufkin has never received any formal training at any school, college, or seminary to become a minister of a congregation of the ULC, and he has failed to provide any evidence of any credentials or certificates establishing that he was a minister for a local congregation of the ULC.
During 1981, the petitioners maintained a checking account for their local congregation (the church account) at a local financial institution. *414 However, the petitioners have refused to disclose the account number and the specific location of the church account. The petitioners maintained exclusive control over the church account during 1981, but they refused to disclose the names of those who had signatory power over such account.
On their Federal income tax return for 1981, the petitioners claimed a charitable contribution deduction of $17,186.34 for contributions to their local congregation of the ULC. In his notice of deficiency, the Commissioner disallowed such deduction in its entirety.
OPINION
The first issue for decision is whether the petitioners are entitled to a deduction for charitable contributions to their local congregation of the ULC in the amount of $17,186.34.
Section 170 4 generally allows deductions for charitable contributions where the taxpayer can prove the following: First, that the contributions were actually made; second, that the contributions were made to a qualified tax-exempt organization; and third, that no part of the net earnings of the qualified tax-exempt organization inured to the taxpayer's personal benefit.
The burden of proving his right to a deduction*416 is on the petitioner (Rule 142(a);
The petitioners argue that they are entitled to the charitable deduction on the ground that the ULC's specific*417 exemption 5 (see
The second issue for decision is whether the petitioners are liable for an addition to tax under
The third issue for decision is whether the United States is entitled to an award of damages under
Whenever it appears to the Tax Court that proceedings before it have been institued or maintained by the taxpayer primarily for delay or that taxpayer's position in such proceedings is frivolous or groundless, damages in an amount not in excess of $5,000 shall be awarded to the United States by the Tax Court in its decision. * * *
This Court has been faced with numerous cases, such as this one, concerning attempts by taxpayers to use the "pretext of a church to avoid paying their fair share of taxes, * * * [and to] resort to the courts in a shameless attempt to vindicate themselves."
Footnotes
1. All statutory references are to the Internal Revenue Code of 1954 as in effect during the year in issue.↩
2. Any reference to a Rule is to the Tax Court Rules of Practice and Procedure.↩
3. This matter, together with certain other matters in the facts, was the subject of a requested admission by the Commissioner. The petitioners did file a timely objection to the request, but such objection was without merit. The petitioners were given additional time to file a proper answer, but when they failed to do so, this matter, together with the other similar matters, was deemed admitted by order of the Court.↩
4. SEC. 170. CHARITABLE, ETC., CONTRIBUTIONS AND GIFTS.
(a) Allowance of Deduction.--
(1) General rule.--There shall be allowed as a deduction any charitable contribution (as defined in subsection (c)) payment of which is made within the taxable year. * * *
(c) Charitable Contribution Defined.--For purposes of this section, the term "charitable contribution" means a contribution or gift to or for the use of--
* * *
(2) A corporation, trust, or community chest, fund, or foundation--
(A) created or organized in the United States or in any possession thereof, or under the law of the United States, any State, the District of Columbia, or any possession of the United States;
(B) organized and operated exclusively for religious, charitable, scientific, literary, or educational purposes * * *;
(C) no part of the net earnings of which inures to the benefit of any private shareholder or individual; * * *↩
5. The Internal Revenue Service has announced that it will no longer recognize the tax exempt status of the Universal Life Church, Modesto, Calif.
Announcement 84-90 ,1984-36 I.R.B. 32↩ (Sept. 4, 1984).
Case-law data current through December 31, 2025. Source: CourtListener bulk data.