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No. 8630520
United States Court of Appeals for the Ninth Circuit
Bell v. Commissioner
No. 8630520 · Decided April 23, 2007
No. 8630520·Ninth Circuit · 2007·
FlawFinder last updated this page Apr. 2, 2026
Case Details
Court
United States Court of Appeals for the Ninth Circuit
Decided
April 23, 2007
Citation
No. 8630520
Disposition
See opinion text.
Full Opinion
MEMORANDUM ** Cornelius Bell appeals pro se from the United States Tax Court’s decision which denied his petition for redetermination of federal income taxes owed for tax year 2002. We have jurisdiction under 26 U.S.C. § 7482 (a), and we affirm. We review de novo the Tax Court’s conclusions of law, and for clear error, its *465 findings of fact. DHL Corp. v. Comm’r, 285 F.3d 1210 , 1216 (9th Cir.2002). The Tax Court properly upheld the Commissioner’s deficiency assessment based on a finding that Bell was required to pay taxes on his disability benefit income under 26 U.S.C. § 105 (a) because his employers had paid the entire cost of his disability plan. While Bell contended that he had paid for the coverage, the evidence supports the Tax Court’s finding that payments made by Bell during that year were for his health plan coverage and not for the disability plan, making the disability benefit income taxable. See Beisler v. Comm’r, 814 F.2d 1304,1307 (9th Cir.1987) (en banc) (amounts employee receives from employer-funded benefit plan are included in the employee’s gross income). AFFIRMED. This disposition is not appropriate for publication and is not precedent except as provided by 9th Cir. R. 36-3.
Plain English Summary
MEMORANDUM ** Cornelius Bell appeals pro se from the United States Tax Court’s decision which denied his petition for redetermination of federal income taxes owed for tax year 2002.
Key Points
01MEMORANDUM ** Cornelius Bell appeals pro se from the United States Tax Court’s decision which denied his petition for redetermination of federal income taxes owed for tax year 2002.
02We review de novo the Tax Court’s conclusions of law, and for clear error, its *465 findings of fact.
03The Tax Court properly upheld the Commissioner’s deficiency assessment based on a finding that Bell was required to pay taxes on his disability benefit income under 26 U.S.C.
04§ 105 (a) because his employers had paid the entire cost of his disability plan.
Frequently Asked Questions
MEMORANDUM ** Cornelius Bell appeals pro se from the United States Tax Court’s decision which denied his petition for redetermination of federal income taxes owed for tax year 2002.
FlawCheck shows no negative treatment for Bell v. Commissioner in the current circuit citation data.
This case was decided on April 23, 2007.
Use the citation No. 8630520 and verify it against the official reporter before filing.