Anderson v. Commissioner

1989 T.C. Memo. 472, 57 T.C.M. 1487, 1989 Tax Ct. Memo LEXIS 472
Procedural entryThis page is a short order in Anderson v. Commissioner. Read the opinion of the Court — 63 T.C.M. 2131
United States Tax Court·Decided August 31, 1989·No. Docket No. 5330-88·Unpublished

Opinion

WILLIAM R. ANDERSON, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Anderson v. Commissioner
Docket No. 5330-88
United States Tax Court
T.C. Memo 1989-472; 1989 Tax Ct. Memo LEXIS 472; 57 T.C.M. (CCH) 1487; T.C.M. (RIA) 89472;
August 31, 1989
Stanley D. Rauls, for the petitioner.
Nancy W. Hale, for the respondent.

KORNER

MEMORANDUM OPINION

KORNER, Judge: * Respondent determined the following deficiencies and additions to tax in petitioner's Federal income tax:

Additions to Tax
Sec.Sec.Sec.
Tax yearDeficiency6653(b) 16653(b)(1)6653(b)(2)
1979$ 12,424.00 $ 53,547.27
1980(2.00)52,054.00
1981332.00 7,622.00
1982-    733.50*

*473 After concessions, the issues for decision are: (1) whether the section 6653(b) additions to tax were determined as a result of a second inspection of petitioner's books and records for the 1979 and 1981 tax years; (2) if a second inspection was made, whether petitioner waived his rights against subjection to a further inspection of his books and records; and (3) if a second inspection was made without petitioner's consent, whether invalidation of the notice of deficiency as it relates to the section 6653(b) additions is an appropriate remedy.

This case was submitted fully stipulated pursuant to Rule 122. The stipulation of facts and the exhibits attached thereto are incorporated herein by this reference. Petitioner was a resident of Little Rock, Arkansas on the date he filed his petition.

For the taxable years 1979, 1980, and 1981, petitioner filed joint Federal income tax returns with Pat M. Anderson, his wife during those years. For the 1982 taxable year, petitioner filed as a head of household. Petitioner's 1979 and 1981 income tax returns and records were examined by respondent prior to April 1981 and March 1984 respectively. Petitioner agreed to adjustments to gross*474 reciepts and expenses from his automobile sales business for those years and the examinations were closed in April 1981 and March 1984 respectively.

Some time prior to September 28, 1984, a grand jury began investigating possible currency transaction reporting requirement violations at Grand National Bank in Hot Springs, Arkansas. Petitioner, through his attorney, contacted the United States Attorney's office for the Eastern District of Arkansas prior to September 28, 1984 and indicated that he wished to reveal his involvement in the currency transaction reporting violations then being investigated by the grand jury. At the request of a special agent of the Internal Revenue Service, petitioner, represented by an attorney and a certified public accountant, submitted his books and records to the Criminal Investigation Division (CID) of the Internal Revenue Service during the criminal investigation. A document receipt for those records was provided to petitioner by the agent. Special Agent Davis reviewed the submitted records and discussed petitioner's income tax liabilities for tax years 1979 through 1982 with petitioner's accountant by telephone prior to February 28, 1985. Amended*475 returns for the tax years 1979 through 1981 were filed by petitioner with the CID on February 28, 1985. The gross incomes on the amended returns were substantially the same as the gross incomes calculated by Special Agent Davis.

On December 12, 1985, an Information was filed charging petitioner with criminal evasion of his income tax liabilities for the tax years 1979 through 1981 inclusive in violation of 26 U.S.C. 7201 (1982), and with structuring currency transactions to avoid reporting those transactions to respondent in violation of U.S.C. 2(a) and (b) (1982) and 31 U.S.C. 5313

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Anderson v. Commissioner, 1989 T.C. Memo. 472, 57 T.C.M. 1487, 1989 Tax Ct. Memo LEXIS 472 (tax 1989).

1989 T.C. Memo. 472 (Anderson v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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