MEMORANDUM FINDINGS OF FACT AND OPINION
KROUPA, Judge: Respondent determined deficiencies and additions to tax with respect to petitioner's income taxes for 1997, 1998, 1999, 2000, 2001, and 2002 as follows: 1
Additions to Tax/Penalties
__________________________
Year Deficiency
1997 $ 20,483 $ 3,529.75 $ 717.53
1998 18,191 4,547.75 832.41
1999 59,469 14,867.25 2,878.05
2000 143,347 35,836.75 7,656.87
2001 64,043 16,010.75 2,559.36
2002 54,203 13,375.00 1,785.21
2005 Tax Ct. Memo LEXIS 270">*271 After concessions, 2 the sole issue for decision is whether petitioner's drug addiction for which he underwent approximately 3 weeks of rehabilitation in March 1999, coupled with his other medical problems and related memory loss, gave him reasonable cause to fail to file his income tax returns for 1998, 1999, and 2000 (the years at issue) until July 2004. We hold that they do not.
FINDINGS OF FACT
Some of the facts have been stipulated and are so found. The stipulation of2005 Tax Ct. Memo LEXIS 270">*272 facts and the accompanying exhibits are incorporated by this reference. Petitioner resided in Eden Prairie, Minnesota, at the time he filed the petition.
Failure To File
Petitioner did not file his income tax returns for the years 1997-2002 by their due dates. 3 They all remained unfiled when an agent of respondent contacted petitioner regarding petitioner's unfiled returns in October 2003. Petitioner ignored the agent and did not submit any documents or information in response. Respondent sent petitioner a deficiency notice on April 27, 2004. Petitioner finally submitted returns for 1997 through 2002 to respondent in July 2004, the same month he timely filed a petition with this Court.
Petitioner's Background
Petitioner has been a life insurance salesman since leaving college. Petitioner's2005 Tax Ct. Memo LEXIS 270">*273 life insurance business focused on individual policies and very seldom involved group policies during the years at issue. Petitioner is married, although he and his wife have filed separate returns since their marriage.
Petitioner continued his life insurance business during the years at issue. Petitioner experienced some success in his business from 1997 through 2002. Petitioner's annual reported gross receipts from his life insurance business ranged from a low of $ 104,368 in 1998 to a high of $ 387,456 in 2000. Petitioner's gross receipts for 1999 and 2000 were the highest of any of the 6 years 1997-2002.
Petitioner's Drug Addiction
Petitioner has experienced headaches throughout most of his adult life, beginning in 1978 or 1979. Petitioner has seen numerous doctors and has tried a variety of different medications and treatments for his headaches. These included Darvocet, Percocet, Ativan, and even injections of Botox in his neck. These medications did not relieve petitioner's headaches.
Petitioner's doctor prescribed petitioner OxyContin in 1996. Petitioner's doctor increased the dosage of OxyContin during the next few years and also continued prescribing petitioner Ativan, 2005 Tax Ct. Memo LEXIS 270">*274 so that petitioner was taking both medications. Petitioner's doctor prescribed only enough OxyContin to last petitioner a week at a time. If petitioner missed a dose of OxyContin, however, petitioner got a headache. The OxyContin was taking over petitioner's life, and he lived in fear of not having his medication.
After experiencing heart problems in 1998, petitioner increasingly relied on the OxyContin. He sought additional prescriptions from other doctors and early refills of the medication. Petitioner could never take enough OxyContin to feel normal.
Petitioner was aware of his increased dependency on OxyContin and stopped taking the medication in January 1999. Soon after he stopped taking it, petitioner suffered a grand mal seizure. Petitioner was diagnosed with chemical dependency, entered rehabilitation in February 1999, and was discharged after approximately 3 weeks of treatment on March 10, 1999.
Petitioner's Life After Rehabilitation
Petitioner's approximate 3-week stint in drug rehabilitation ended on March 10, 1999. Petitioner had not filed returns for 1997 or 1998 when he was discharged. After his discharge, petitioner returned to work and attended support group meetings. 2005 Tax Ct. Memo LEXIS 270">*275 His finances were in disarray, he was disorganized, and he was experiencing some memory problems. Petitioner's home had been sold at a foreclosure sale in February 1999, but petitioner and his wife were ultimately able to repurchase it later that year.
Petitioner began to organize his receipts and information to give to his accountant in late 1999. His goal was to file all late returns at one time. It took several years. Petitioner finally filed his returns for the years at issue in July 2004, after respondent had sent petitioner the deficiency notice.
OPINION
Petitioner admits that he failed to file his returns timely. We are asked to decide whether petitioner's failure to file timely was due to reasonable cause. Petitioner argues that his drug addiction and the time he spent in drug rehabilitation, as well as his other medical problems and related memory loss constitute reasonable cause for his failure to timely file a return for the years at issue.
Petitioner has the burden of proof with respect to defenses to the additions to tax under
A taxpayer may have reasonable cause for failure to timely file a return where the taxpayer or a member of the taxpayer's family experiences an illness or incapacity that prevents the taxpayer from filing his or her return. See, e.g.,
On the other hand, a taxpayer generally does not have reasonable cause for his or her failure to timely file a return where the taxpayer's illness does not prevent the taxpayer from filing his or her return. See, e. g,
A taxpayer's illness or incapacity generally does not prevent the taxpayer from filing returns where the taxpayer is able to continue his or her business affairs despite the illness or incapacity, or where the taxpayer's failure to file returns continues beyond the duration of the illness or incapacity. 4
2005 Tax Ct. Memo LEXIS 270">*281 Petitioner suffered medical problems during the years at issue. Petitioner introduced evidence regarding his heart problems, his headaches, and his drug addiction and rehabilitation. We do not find, however, that petitioner's illnesses incapacitated him to such an extent that he was unable to file his returns. See
Moreover, petitioner's failure to timely file continued2005 Tax Ct. Memo LEXIS 270">*282 for years beyond the due date of the returns. Petitioner's drug addiction and rehabilitation admittedly affected him during a portion of 1999, particularly the time he spent in drug rehabilitation, and likely for some time before he entered drug rehabilitation as well. The returns remained unfiled for almost 5 years from when petitioner began to assemble this information by fall 1999. See
In sum, petitioner has not shown that his failure to timely file income tax returns for the years at issue was due to reasonable cause and not to willful neglect. Thus, we find that petitioner is liable for the addition to tax under
To reflect the foregoing and the concessions of the parties,
Decision will be entered under
1. All section references are to the Internal Revenue Code in effect for the years at issue, and all Rule references are to the Tax Court Rules of Practice and Procedure, unless otherwise indicated.↩
2. Respondent has accepted the returns for 1997 through 2002 that petitioner submitted in July 2004, which returns included deductions for business expenses. The parties therefore no longer dispute petitioner's income tax liabilities for 1997 through 2002. Petitioner has conceded that he is liable for the additions to tax under
3. Petitioner's accountants, acting under a limited power of attorney, obtained extensions of time to file petitioner's returns for each year from 1997 through 2002. Each return was therefore due October 15 of the following year.↩
4. Petitioner argues that he is only required to prove that he had reasonable cause for his failure to file on the due date of the return and for the 4 months thereafter. The reasonable cause standard is a one-time test to be passed or failed at the payment due date. See