Decision will be entered for respondent.
MORRISON, Judge: The respondent (the "IRS") issued a notice of deficiency to the petitioner, Mahamud Abdi, for the 2011 tax year disallowing an earned-income tax credit ("EITC") of $608 and determining a corresponding *42 income-tax deficiency of $608. This case arises from Abdi's timely petition. We have jurisdiction pursuant to
The sole issue for decision is whether Abdi is entitled to an EITC for the 2011 tax year. We hold that he is not.
Some facts have been stipulated, and they are so found. Abdi resided in Minnesota when he filed the petition. Therefore, an appeal of our decision in this case would go to the U.S. Court of Appeals for the Eighth Circuit unless the parties stipulate venue in another circuit.
During 2011 Abdi turned 25 years old, was unmarried, and resided in apartment 235 at 2178 Londin Lane, St. Paul, Minnesota.22015 Tax Ct. Memo LEXIS 46">*47
*43 Abdi timely filed his federal-income-tax return for 2011. On this return Abdi reported wages of $38,060, reported gross income of $38,060, and claimed an EITC of $608. His filing status was "[s]ingle".
Abdi claimed both2015 Tax Ct. Memo LEXIS 46">*48 his brother, Abdikafi Ali, and his niece, I.A.,3 as "qualifying children" for purposes of the EITC on his 2011 federal-income-tax return. During 2011 Abdi's brother turned 15 years old, and resided in apartment 235 at 2178 Londin Lane, St. Paul, Minnesota, with, among others, Abdi. During 2011 Abdi's niece turned four years old, and resided in apartment 238 at 2178 Londin Lane, St. Paul, Minnesota. Abdi did not reside with his niece at any point during 2011.
On February 23, 2013, the IRS issued the notice of deficiency to Abdi for the 2011 tax year, disallowing the EITC and determining a corresponding income-tax deficiency of $608.
*44 The case was tried in St. Paul, Minnesota.
Generally, the taxpayer bears the burden of proving, by a preponderance of the evidence, that the determinations in the notice of deficiency are erroneous.
Generally,
The term "earned income" includes wages, salaries, and other employee compensation to the extent such amounts are includible in gross income for the taxable year.
A taxpayer's "qualifying child" for purposes of the EITC means an individual who: (1) is related to the taxpayer, including brothers and nieces,
For the 2011 tax year Abdi did not file jointly, his "earned income" was $38,060, and he had less than2015 Tax Ct. Memo LEXIS 46">*51 two "qualifying children". Accordingly, Abdi is not entitled to an EITC for 2011.
In reaching our holdings, we have considered all arguments made, and, to the extent not mentioned, we conclude that they are moot, irrelevant, or without merit.
To reflect the foregoing,
1. All section references are to the Internal Revenue Code in effect for the year in issue, and all Rule references are to the Tax Court Rules of Practice and Procedure, unless otherwise indicated.↩
2. The parties executed a pre-trial stipulation that "[d]uring 2011, Abdi resided in apartment 245 at 419 Cedar Ave. S., Minneapolis, Minnesota". The IRS contends that Abdi should not be permitted to take the position that he resided anywhere else. We have broad discretion to determine when it is appropriate to set aside a stipulation.
3. The Court refers to minor children by only their initials.