Staples v. CIR ( 2021 )


Menu:
  •                                                                                   FILED
    United States Court of Appeals
    UNITED STATES COURT OF APPEALS                          Tenth Circuit
    FOR THE TENTH CIRCUIT                             June 15, 2021
    _________________________________
    Christopher M. Wolpert
    Clerk of Court
    MARK ALAN STAPLES,
    Petitioner - Appellant,
    v.                                                          No. 20-9006
    (CIR No. 006560-18)
    COMMISSIONER OF INTERNAL                              (United States Tax Court)
    REVENUE,
    Respondent - Appellee.
    _________________________________
    ORDER AND JUDGMENT*
    _________________________________
    Before MORITZ, BALDOCK, and KELLY, Circuit Judges.
    _________________________________
    Mark Staples appeals pro se from a Tax Court order that upheld the
    Commissioner’s determination of a $1,635 deficiency on his 2015 income taxes.
    Exercising jurisdiction under 
    26 U.S.C. § 7482
    (a), we affirm.
    BACKGROUND
    Staples worked for the federal government until 2012, when he retired due to a
    disability. That same year, he began receiving disability payments through social
    *
    After examining the briefs and appellate record, this panel has determined
    unanimously to honor the parties’ request for a decision on the briefs without oral
    argument. See Fed. R. App. P. 34(f); 10th Cir. R. 34.1(G). The case is therefore
    submitted without oral argument. This order and judgment is not binding precedent,
    except under the doctrines of law of the case, res judicata, and collateral estoppel. It
    may be cited, however, for its persuasive value consistent with Fed. R. App. P. 32.1
    and 10th Cir. R. 32.1.
    security disability insurance (SSDI) and annuity payments through the Federal
    Employees Retirement System (FERS). The Office of Personnel Management (OPM)
    reduced his FERS annuity payments by a portion of the SSDI benefit he received. See 
    5 U.S.C. § 8452
    (a)(2)(A) (mandating a partial or complete reduction to a FERS disability
    annuity for any month in which the FERS member is also entitled to an SSDI benefit).
    On Staples’ 2015 federal income tax return, he reported his SSDI and FERS
    benefits, some retirement benefits, and some taxable interest income. The Commissioner
    later advised Staples that third parties had reported more in retirement benefits and
    interest income than he had declared. According to the Commissioner, the additional
    income resulted in a tax deficiency of $1,635 plus $36 in accrued interest. Staples
    conceded his receipt of the additional income but disputed his increased tax liability,
    arguing he was entitled to claim a loss deduction for the amount of money OPM withheld
    from his FERS annuity.
    Staples submitted an amended 2015 tax return, asserting his loss-deduction theory.
    The Commissioner did not process the amended return, however, and instead sent him a
    notice of deficiency for $1,635.
    In 2018, Staples filed in the Tax Court a petition to redetermine the deficiency.
    He claimed he was due a refund for the 2015 tax year based on the reduction of his FERS
    annuity. In a pretrial memorandum, he explained that “OPM reduced [his] FERS annuity
    by 60% of [his] Social Security disability payments resulting in an income loss of -
    $7,939.00.” R. at 52. Given the alleged loss, Staples asserted he was due an $808
    refund.
    2
    Following a bench trial, the Tax Court upheld the Commissioner’s deficiency
    determination and rejected Staples’ claim for a refund. The court explained that
    “a deductible ‘loss’ simply does not include the failure to realize anticipated income.”
    
    Id. at 245
    . The court also ruled it lacked jurisdiction to the extent Staples challenged
    OPM’s calculation of his disability annuity.
    In response to the Tax Court’s opinion, the Commissioner and Staples submitted
    proposed computations for the amount of his tax liability.1 The court rejected Staples’
    computations, which sought to reduce the amount of his SSDI benefits by the amount of
    his disallowed FERS annuity. The court then ruled there was a $1,635 deficiency on
    Staples’ 2015 income taxes. Further, the court noted it lacked jurisdiction to address
    Staples’ computations for tax years other than 2015.
    Staples requested a new trial, which the Tax Court construed as a motion for
    reconsideration. He argued he was in the process of disputing OPM’s reduction of his
    FERS annuity and that the court had violated his constitutional rights and erroneously
    determined he was trying to deduct “(non real) income,” R. at 258. The court denied
    1
    Under Tax Court Rule 155, “[w]here the Court has filed or stated its
    opinion . . . determining the issues in a case, it may withhold entry of its decision for
    the purpose of permitting the parties to submit computations pursuant to the Court’s
    determination of the issues, showing the correct amount to be included in the
    decision.” T.C. Rule 155(a). Where, as here, the parties’ computations “differ as to
    the amount to be entered as the decision of the Court, . . . the parties may, at the
    Court’s discretion, be afforded an opportunity to be heard in argument thereon and
    the Court will determine the correct amount and will enter its decision accordingly.”
    
    Id. 155
    (b).
    3
    reconsideration, concluding that the motion was untimely and replete with “dubious
    grievances.” 
    Id. at 333
    .
    DISCUSSION
    “We review the Tax Court’s determination and application of law de novo,” and
    “we review the Tax Court’s findings of fact for clear error.” Esgar Corp. v. Comm’r,
    
    744 F.3d 648
    , 652 (10th Cir. 2014). Because Staples is pro se, we liberally construe his
    pleadings but do not “take on the responsibility of serving as [his] attorney in
    constructing arguments and searching the record.” Garrett v. Selby Connor Maddux &
    Janer, 
    425 F.3d 836
    , 840 (10th Cir. 2005).
    Staples contends the Tax Court erred in concluding that OPM’s reduction of his
    FERS annuity is not a deductible loss. But deductions are created by statute, and Staples
    identifies no statute authorizing the deduction he seeks. See INDOPCO, Inc. v. Comm’r,
    
    503 U.S. 79
    , 84 (1992) (observing that “an income tax deduction is a matter of legislative
    grace and that the burden of clearly showing the right to the claimed deduction is on the
    taxpayer” (internal quotation marks omitted)).
    Although Staples equates his proposed deduction to a deduction for a gambling
    loss, which is statutorily authorized “to the extent of the gains from such transactions,” 
    26 U.S.C. § 165
    (d), a FERS reduction is not remotely equivalent to a gambling loss.
    Specifically, Congress has mandated the reduction of a FERS disability annuity where, as
    here, the FERS participant is also entitled to SSDI benefits. See 
    5 U.S.C. § 8452
    (a)(2)(A). Under these circumstances, the reduction is equivalent to unrealized
    income, which is not deductible. See Hort v. Comm’r, 
    313 U.S. 28
    , 32-33 (1941)
    4
    (holding that a taxpayer may not “reduce ordinary income actually received and reported
    by the amount of income he failed to realize”); Hendricks v. Comm’r, 
    406 F.2d 269
    , 272
    (5th Cir. 1969) (citing Hort for the “well settled” proposition “that a taxpayer is not
    allowed to reduce ordinary income actually received by the amount of income he failed to
    receive”); see, e.g., Marks v. Comm’r, 
    390 F.2d 598
    , 599 (9th Cir. 1968) (affirming Tax
    Court’s decision disallowing taxpayer’s loss deduction for the salary differential between
    clerk-typist job and teacher position where taxpayer could no longer teach). We conclude
    that the Tax Court did not err in rejecting Staples’ proposed deduction and his related
    claim for a refund.
    Staples next advances a litany of arguments the Tax Court rejected on
    jurisdictional grounds. For instance, he maintains the Commissioner defamed him and
    violated the Americans with Disabilities Act and the Rehabilitation Act. He also
    complains that OPM purposefully omitted information from a tax form and violated the
    federal Privacy Act. The Tax Court has only “limited jurisdiction,” however, and it
    “lacks general equitable powers.” Comm’r v. McCoy, 
    484 U.S. 3
    , 7 (1987).
    The Tax Court’s jurisdiction was framed here by the notice of deficiency. See
    Keller Tank Servs. II, Inc. v. Comm’r, 
    854 F.3d 1178
    , 1187 (10th Cir. 2017) (describing a
    deficiency notice as “the taxpayer’s jurisdictional ticket to the Tax Court” (internal
    quotation marks omitted)). Thus, the Tax Court had jurisdiction to redetermine Staples’
    2015 tax deficiency and to consider his related refund claim. But no statute conferred
    jurisdiction over his other claims. See Harbold v. Comm’r, 
    51 F.3d 618
    , 621 (6th Cir.
    1995) (observing “that the Tax Court may only exercise jurisdiction to the extent
    5
    expressly permitted by Congress” (internal quotation marks omitted)); see, e.g., Norris v.
    Comm’r, 
    T.C. Memo 2001-152
    , 
    81 T.C.M. (CCH) 1816
    , 
    2001 WL 715854
    , at *2 (June
    26, 2001) (stating that the Tax “Court does not have jurisdiction to decide employee
    benefit entitlement issues that fall within the purview of various departments and
    agencies of the United States Government”), aff’d, 46 F. App’x 582 (9th Cir. 2002).2
    And Staples’ attempt to apply his loss-deduction theory to prior tax years was, as the Tax
    Court noted, beyond its jurisdiction. See 
    26 U.S.C. § 6214
    (b) (“The Tax Court in
    redetermining a deficiency of income tax for any taxable year . . . shall have no
    jurisdiction to determine whether or not the tax for any other year or calendar quarter has
    been overpaid or underpaid.”).
    Finally, Staples argues that the Tax Court’s determination is the result of
    due-process and equal-protection violations, as well as judicial bias against pro se
    litigants. But he provides no tangible support for this argument, and we “will not
    consider issues adverted to in a perfunctory manner.” Armstrong v. Arcanum Grp., Inc.,
    
    897 F.3d 1283
    , 1291 (10th Cir. 2018) (ellipsis and internal quotation marks omitted).
    Moreover, we note that the Tax Court afforded Staples “reasonable notice and a
    meaningful opportunity to be heard,” Standard Indus., Inc. v. Aquila, Inc. (In re C.W.
    Mining Co.), 
    625 F.3d 1240
    , 1245 (10th Cir. 2010), by allowing him to testify and submit
    2
    Insofar as Staples challenges the rejection of his loss-deduction theory via
    claims not presented to the Tax Court, we do not consider them. See McCoy,
    
    484 U.S. at 6
     (stating that “the court of appeals lacks jurisdiction to decide an issue
    that was not the subject of the Tax Court proceeding”).
    6
    supporting documentation. Although the Tax Court ultimately rejected his arguments,
    that is not evidence of bias. See Bixler v. Foster, 
    596 F.3d 751
    , 762 (10th Cir. 2010).
    CONCLUSION
    We affirm the Tax Court’s decision.
    Entered for the Court
    Nancy L. Moritz
    Circuit Judge
    7