Professional Tax Research Solutions from the Founder of Kleinrock. tax and accounting research
Parker Tax Pro Library
Accounting News Tax Analysts professional tax research software Like us on Facebook Follow us on Twitter View our profile on LinkedIn Find us on Pinterest
federal tax research
Professional Tax Software
tax and accounting
Tax Research Articles Tax Research Parker's Tax Research Articles Accounting Research CPA Client Letters Tax Research Software Client Testimonials Tax Research Software Federal Tax Research tax research


Accounting Software for Accountants, CPA, Bookeepers, and Enrolled Agents

Parents Who Lost Custody of Children Could Not Claim Them as Dependents or Take Child Tax Credit or EITC

(Parker Tax Publishing August 2018)

The Tax Court held that the biological parents of two children who were adopted by, resided with and received primary financial support from their maternal aunt during the entire year at issue were not entitled to claim the children as dependents and, as a result, could not take the child tax credit or the earned income credit. The Tax Court reasoned that, although the children visited with their parents when not in school, the children did not share a principal place of abode with their parents, making the parents ineligible to claim the children as dependents or take the credits. Jusino v. Comm'r, T.C. Memo. 2018-112.

Miguel Jusino and Elizabeth Ezcurra are the biological parents of two children who were nine years old and four years old, respectively, at the end of 2015. Jusino's and Ezcurra's parental rights were terminated by a court order in January 2015. In September 2015, the children were adopted by their maternal aunt with whom they had resided since 2014. The children lived with their aunt during all of 2015, although they visited their parents some weekends during the summer. Jusino and Ezcurra bought gifts for the children and took them to restaurants during the visits, but the aunt provided the primary financial support for the children.

Jusino and Ezcurra claimed the children as their dependents on their 2015 Form 1040A. They also claimed a $5,360 earned income credit, a $103 child tax credit, and a $1,897 additional child tax credit. In claiming the earned income credit, Jusino and Ezcurra falsely reported that the children lived with them 12 months during 2015. They reported over $24,352 in wages earned by Mr. Jusino during 2015. The IRS determined a deficiency of $8,250 and a $1,650 accuracy related penalty with respect to Jusino's and Ezcurra's 2015 return. The IRS later conceded that the taxpayers were not liable for the penalty. Jusino and Ezcurra challenged the deficiency in the Tax Court.

For tax years before 2018 and after 2025, Code Sec. 151 allows an exemption for each dependent of a taxpayer in computing taxable income. In addition to other requirements, Code Sec. 152(c) provides that for a child to qualify as a dependent, the child must have the same principal place of abode as the taxpayer for more than half of the year. Code Sec. 24(a) generally allows a child tax credit for a qualifying child as described in Code Sec. 152(c). A portion of the credit, the additional child tax credit, is refundable if certain conditions are met. Under Code Sec. 32(b), an earned income credit may apply; the income limitation amount depends in part on whether the taxpayer has any qualifying children under Code Sec. 152(c), as modified by Code Sec. 32(c)(3)(A).

The Tax Court found that Jusino and Ezcurra were not entitled to claim their children as dependents and therefore denied the claimed credits and upheld the deficiency. The court found that the children did not share a principal place of abode with Jusino and Ezcurra in 2015 because the children were placed with their aunt in 2014 and had lived with her ever since. Moreover, the taxpayers did not dispute that the children visited only when they were not in school. The Tax Court found that because the children were not dependents under Code Sec. 152(c), Jusino and Ezcurra were not entitled to take the child tax credit.

The Tax Court also held that Jusino and Ezcurra did not qualify for the earned income credit because their income for 2015 exceeded the applicable limitation amount. The court explained that to be eligible to claim a higher earned income credit with respect to the children, Jusino and Ezcurra had to establish that the children were qualifying children. However, because the children were not qualifying children, Jusino and Ezcurra were eligible for the credit only on the basis of their earned income. The court concluded that the earned income credit did not apply because the income of over $24,000 that Jusino and Ezcurra reported for 2015 exceeded the applicable limitation for that year.

For a discussion of the exemption or dependents, see Parker Tax ¶10,720. For a discussion of the definition of a qualifying child, see Parker Tax ¶102,110.10. For a discussion of the child tax credit, see Parker Tax ¶100,701. For a discussion of the earned income credit, see Parker Tax ¶102,101.

Disclaimer: This publication does not, and is not intended to, provide legal, tax or accounting advice, and readers should consult their tax advisors concerning the application of tax laws to their particular situations. This analysis is not tax advice and is not intended or written to be used, and cannot be used, for purposes of avoiding tax penalties that may be imposed on any taxpayer. The information contained herein is general in nature and based on authorities that are subject to change. Parker Tax Publishing guarantees neither the accuracy nor completeness of any information and is not responsible for any errors or omissions, or for results obtained by others as a result of reliance upon such information. Parker Tax Publishing assumes no obligation to inform the reader of any changes in tax laws or other factors that could affect information contained herein.

Parker Tax Pro Library - An Affordable Professional Tax Research Solution. www.parkertaxpublishing.com


Professional tax research

We hope you find our professional tax research articles comprehensive and informative. Parker Tax Pro Library gives you unlimited online access all of our past Biweekly Tax Bulletins, 22 volumes of expert analysis, 250 Client Letters, Bob Jennings Practice Aids, time saving election statements and our comprehensive, fully updated primary source library.

Parker Tax Research

Try Our Easy, Powerful Search Engine

A Professional Tax Research Solution that gives you instant access to 22 volumes of expert analysis and 185,000 authoritative source documents. But having access won’t help if you can’t quickly and easily find the materials that answer your questions. That’s where Parker’s search engine – and it’s uncanny knack for finding the right documents – comes into play

Things that take half a dozen steps in other products take two steps in ours. Search results come up instantly and browsing them is a cinch. So is linking from Parker’s analysis to practice aids and cited primary source documents. Parker’s powerful, user-friendly search engine ensures that you quickly find what you need every time you visit Our Tax Research Library.

Parker Tax Research Library

Dear Tax Professional,

My name is James Levey, and a few years back I founded a company named Kleinrock Publishing. I started Kleinrock out of frustration with the prohibitively high prices and difficult search engines of BNA, CCH, and RIA tax research products ... kind of reminiscent of the situation practitioners face today.

Now that Kleinrock has disappeared into CCH, prices are soaring again and ease-of-use has fallen by the wayside. The needs of smaller firms and sole practitioners are simply not being met.

To address the problem, I’ve partnered with a group of highly talented tax writers to create Parker Tax Publishing ... a company dedicated to the idea that comprehensive, authoritative tax information service can be both easy-to-use and highly affordable.

Our product, the Parker Tax Pro Library, is breathtaking in its scope. Check out the contents listing to the left to get a sense of all the valuable material you'll have access to when you subscribe.

Or better yet, take a minute to sign yourself up for a free trial, so you can experience first-hand just how easy it is to get results with the Pro Library!

Sincerely,

James Levey

Parker Tax Pro Library - An Affordable Professional Tax Research Solution. www.parkertaxpublishing.com

    ®2012-2018 Parker Tax Publishing. Use of content subject to Website Terms and Conditions.

IRS Codes and Regs
Tax Court Cases IRS guidance