Bonacci v. Commissioner

1989 T.C. Memo. 289, 57 T.C.M. 701, 1989 Tax Ct. Memo LEXIS 289
United States Tax Court·Decided June 14, 1989·No. Docket No. 42883-85.·Unpublished

Opinion

JOSEPH A. BONACCI, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Bonacci v. Commissioner
Docket No. 42883-85.
United States Tax Court
T.C. Memo 1989-289; 1989 Tax Ct. Memo LEXIS 289; 57 T.C.M. (CCH) 701; T.C.M. (RIA) 89289;
June 14, 1989.
Joseph A. Bonacci, pro se.
Mark H. Howard and Thomas N. Thompson, for the respondent.

SWIFT

MEMORANDUM FINDINGS OF FACT AND OPINION

SWIFT, Judge: Respondent determined deficiencies and additions to tax in petitioner's Federal income tax liability for the years 1979 through 1984, as follows:

Additions to Tax, I.R.C. Secs. 1
YearDeficiencies6653(b)6653(b)(1)6653(b)(2)
1979$  11,032 *
198014,223 *
198112,854 *
198214,998 * **
198358,517 * **
198446,947---
Total$ 158,571

*290 The issues for decision are: (1) Whether respondent based his determinations on information obtained in violation of Rule 6(e) of Federal Rules of Criminal Procedure, and if so the effect of such a violation on respondent's determinations; (2) whether respondent's computations of petitioner's taxable income under the net worth method of proof are correct; and (3) whether petitioner is liable for additions to tax under sections 6653(b), (b)(1), and (b)(2).

FINDINGS OF FACT

Some of the facts have been stipulated and are so found, and some of the facts have been established by requests for admission.

Petitioner resided in Salt Lake City, Utah, at the time he filed his petition in this case. During the years 1979 through 1984, petitioner owned an automobile body shop and real estate.

Between 1983 and June of 1985, an organized crime drug enforcement task force investigated petitioner's activities. The task force consisted of representatives from the FBI, the IRS, the DEA, and other state and local agencies. The drug enforcement task force presented their information to a grand jury in June of 1985. The grand jury indicted petitioner*291 on June 27, 1985. A U.S. Magistrate issued a search warrant on July 1, 1985, authorizing a search of petitioner's home and safe-deposit box. In support of the search warrant, two affidavits were submitted to the magistrate, one of which was prepared by an IRS special agent. Neither of the affidavits was based on information presented to the grand jury. Each affidavit was based on information obtained by the drug enforcement task force before the grand jury proceedings were conducted.

On July 1 and 2, 1985, the search warrant was executed. Business and financial records of petitioner and contraband were seized. Among the records seized from petitioner's home were documents reflecting computations of petitioner's net worth and petitioner's Federal income tax liability for the years 1979 through 1984. These computations had been prepared by petitioner's then attorney from documents petitioner had made available to the attorney. Also, $ 53,000 in cash was seized from petitioner's safe-deposit box. The business and financial records of petitioner that were seized on July 1 and 2, 1985, were made available to respondent's agents.

The computations of petitioner's net worth that*292 had been obtained through the search and seizure of petitioner's residence reflected taxable income and tax liability figures as follows:

YearTaxable IncomeTax Liability
1979$  33,029$   8,635
198072,71429,694
198163,52423,968
198221,2953,819
1983

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Bonacci v. Commissioner, 1989 T.C. Memo. 289, 57 T.C.M. 701, 1989 Tax Ct. Memo LEXIS 289 (tax 1989).

1989 T.C. Memo. 289 (Bonacci v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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