
    Willie A. WRIGHT, Petitioner-Appellant, v. COMMISSIONER OF INTERNAL REVENUE, Respondent—Appellee.
    No. 06-60702
    Summary Calendar.
    United States Court of Appeals, Fifth Circuit.
    July 5, 2007.
    Willie A. Wright, pro se.
    Robert R. Di Trolio, U.S. Tax Court, Donald L. Korb, Chief Counsel, Internal Revenue Service, Eileen J. O’Connor, Assistant Attorney General, U.S. Department of Justice, Washington, DC, for Respondent-Appellee.
    Before JOLLY, DENNIS, and CLEMENT, Circuit Judges.
   PER CURIAM:

Willie W. Wright, pro se, appeals an adverse judgment of the Tax Court. He argues that the Tax Court erred in finding that he was not entitled to claim a casualty loss deduction. In 1997, Wright’s home was destroyed by fire. He claimed a casualty loss of $160,402 on his 1997 income tax return for the destruction of the home and its contents. The Tax Court found that Wright failed to carry his burden of substantiating a loss in excess of the insurance proceeds that he received, as required by 26 U.S.C. § 165(a). That finding is not clearly erroneous. Wright did not submit evidence of the fair market value of the property immediately before and immediately after the fire, nor did he prove his adjusted basis in the property. The judgment of the Tax Court is, therefore,

AFFIRMED. 
      
       Pursuant to 5th Cir. R. 47.5, the Court has determined that this opinion should not be published and is not precedent except under the limited circumstances set forth in 5th Cir. R. 47.5.4.
     