Aflalo v. Commissioner

1994 T.C. Memo. 596, 68 T.C.M. 1343, 1994 Tax Ct. Memo LEXIS 605
CourtUnited States Tax Court
DecidedDecember 6, 1994
DocketDocket No. 14712-92
StatusUnpublished

This text of 1994 T.C. Memo. 596 (Aflalo v. Commissioner) is published on Counsel Stack Legal Research, covering United States Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Aflalo v. Commissioner, 1994 T.C. Memo. 596, 68 T.C.M. 1343, 1994 Tax Ct. Memo LEXIS 605 (tax 1994).

Opinion

FELIX AFLALO AND ARLETTE AFLALO, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Aflalo v. Commissioner
Docket No. 14712-92
United States Tax Court
T.C. Memo 1994-596; 1994 Tax Ct. Memo LEXIS 605; 68 T.C.M. (CCH) 1343;
December 6, 1994, Filed

*605 Decision will be entered under Rule 155.

Felix Aflalo and Arlette Aflalo, pro sese.
For respondent: Linette Angelastro and Marilyn Devin.
GERBER

GERBER

MEMORANDUM FINDINGS OF FACT AND OPINION

GERBER, Judge: Respondent determined deficiencies in and additions to petitioners' Federal income tax as follows:

Addition to Tax
YearDeficiency1Sec. 6653(b)
1977$ 22,342$ 11,171
197868,86834,434
197960,69430,347
198037,25718,629

After concessions, the issues remaining for decision are: (1) Whether petitioners had unreported income for the taxable years at issue as determined and reconstructed by respondent using the net worth method; (2) whether Mr. Aflalo is liable for additions to tax for fraud; (3) whether, absent a finding of fraud, Mr. Aflalo is liable for additions to tax for negligence or disregard of rules or regulations; *606 (4) whether Mrs. Aflalo is liable for additions to tax for negligence or disregard of rules or regulations; and (5) whether the statute of limitations had expired with respect to petitioners' 1977 and 1978 taxable years when the notice of deficiency was issued.

FINDINGS OF FACT 2

Petitioners resided in Hollywood, California, at the time the petition in this case was filed. Petitioners, husband and wife, filed joint Federal income tax returns for the taxable years at issue.

Mr. Aflalo operated two delicatessens: "Harry's Deli", acquired in 1974, and "Boston Deli", acquired in either 1976 or 1978. Harry's Deli was owned by R.A.F., Inc., and Boston Deli was owned by Boston, Inc. Petitioners, along with one other shareholder, Ralph Phillippo, owned stock in both corporations. From 1978 through 1980, Mrs. Aflalo worked in the delicatessens as a cashier.

In 1977, petitioners sold both Tandy and Asamera Oil stock, yet failed to*607 report the sales on their tax returns. In addition, respondent discovered that petitioners' personal expenditures totaled approximately $ 22,442, based primarily on petitioners' bank withdrawals.

In 1978, petitioners purchased Ralph Phillippo's interests in the delicatessens by payment of approximately $ 33,000 and $ 52,000 to Mr. Phillippo for his R.A.F., Inc., and Boston, Inc., shares, respectively. Petitioners had three additional unreported stock transactions, with receipts totaling $ 13,662.62. The balance in petitioners' brokerage accounts, in addition to the above sales, had also increased by approximately $ 66,933. Moreover, petitioners purchased a home in Palm Springs, California, for $ 79,000 and a swimming pool for $ 10,500. Petitioners also failed to report certain interest income and dividends received. 3 Their personal expenditures, in 1978, totaled approximately $ 111,734.

*608 In 1979, petitioners had nine unreported stock dispositions with total proceeds of $ 105,377.76. Also for 1979, petitioners had unreported dividend income and an increase in their brokerage accounts aggregating $ 46,223, and they made approximately $ 100,016 in personal expenditures.

For 1980, petitioners had nine unreported stock dispositions with proceeds totaling $ 35,387.61. They, once again, failed to report dividend income. 4 Petitioners' personal expenditures, in 1980, were approximately $ 7,641.

Initially, petitioners were being investigated to determine whether there were criminal tax violations. Mr. Aflalo was later advised that respondent was no longer pursuing a criminal case. In 1984, Internal Revenue Service (IRS) Agent Guy Hoppe was assigned to examine petitioners' civil tax liability. During the 14-month civil examination, petitioners were uncooperative with respondent and refused to provide documents.

Due to petitioners' failure to provide information, petitioners' *609 income was reconstructed by means of the net worth method. Respondent's agent aggregated the total value of petitioners' known assets including bank accounts, stock holdings, cash accounts, etc. More specifically, Agent Hoppe used the net worth method to reconstruct petitioners' income because of the lack of records, many unreported stock transactions, cash transactions in the delicatessen businesses, large personal expenditures, and otherwise lavish lifestyle when compared to their reported income.

Respondent mailed a statutory notice of deficiency to petitioners on April 8, 1992. Petitioners filed their petition with this Court on June 30, 1992.

ULTIMATE FINDINGS OF FACT

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Bluebook (online)
1994 T.C. Memo. 596, 68 T.C.M. 1343, 1994 Tax Ct. Memo LEXIS 605, Counsel Stack Legal Research, https://law.counselstack.com/opinion/aflalo-v-commissioner-tax-1994.