Bostian v. Commissioner

1991 T.C. Memo. 589, 62 T.C.M. 1337, 1991 Tax Ct. Memo LEXIS 639
United States Tax Court·Decided December 2, 1991·No. Docket No. 30759-88·Unpublished

Opinion

SAMUEL LEROY BOSTIAN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Bostian v. Commissioner
Docket No. 30759-88
United States Tax Court
T.C. Memo 1991-589; 1991 Tax Ct. Memo LEXIS 639; 62 T.C.M. (CCH) 1337; T.C.M. (RIA) 91589;
December 2, 1991, Filed
*639 Samuel Leroy Bostian, pro se.
James R. Rich, for the respondent.
SWIFT, Judge.

SWIFT

MEMORANDUM OPINION

This matter is before us on respondent's motion for summary judgment under Rule 121. 1

Respondent determined deficiencies in and additions to tax with respect to petitioner's 1984, 1985, and 1986 Federal income tax as follows:

Additions to Tax, Secs.
YearDeficiency6651(a)(1)6653(a)(1)6653(a)(2)6653(a)(1)(A)
1984$  2,856$   714$   143**640$   -- 
198530,0117,5031,501-- 
198620,8115,203-- --1,041
Additions to Tax, Secs.
Year6653(a)(1)(B)6654(a)6661
1984--$   180$   -- 
1985--1,7207,503
1986**1,0075,203

In an amended answer, respondent increased the amount of the deficiency for 1984 to $ 14,680.

Petitioner resided in Salisbury, North Carolina, at the time he filed his petition in this case.

On April 15, 1987, petitioner filed a voluntary bankruptcy petition for the reorganization of his debts with the United States Bankruptcy Court for the Middle District of North Carolina (Bankruptcy Court). On August 6, 1987, respondent filed a proof of claim and on October 21, 1987, respondent filed an amended proof of claim in petitioner's bankruptcy proceeding on behalf of the United States reflecting respondent's determination of petitioner's Federal income tax liabilities for the years in issue and some of the additions to tax set forth above.

On August 12, 1987, petitioner filed with the Bankruptcy Court an objection to respondent's proof of claim, and petitioner also filed a complaint with the Bankruptcy Court for an adversary hearing regarding respondent's proof of*641 claim. On February 4, 1988, the Bankruptcy Court held an adversarial hearing on petitioner's objection to respondent's proof of claim. Testimony by respondent's witnesses was heard, and exhibits were admitted concerning petitioner's Federal income tax liabilities. Petitioner was present at the hearing, but petitioner was not represented by counsel, and petitioner did not question any witnesses.

On March 1, 1988, based on the evidence submitted to the Bankruptcy Court at the February 4, 1988, hearing, the Bankruptcy Court entered an order overruling petitioner's objection to respondent's proof of claim and determining petitioner's Federal income tax liabilities for 1977 through 1986. In its order, the Bankruptcy Court concluded with respect to the years in issue herein, as follows:

The claim of the United States for income taxes, penalties and interest for the years 1984 through 1986 is allowed in the amounts which were proven during the hearing held before the Court on February 4, 1988.

The Court hereby finds that the United States, Internal Revenue Service has proven at the hearing held on February 4, 1988 and accordingly it is found that the income tax liabilities of*642 the debtor, Samuel Leroy Bostian, are as follows, plus interest and other additions thereto according to law:

Year

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Bostian v. Commissioner, 1991 T.C. Memo. 589, 62 T.C.M. 1337, 1991 Tax Ct. Memo LEXIS 639 (tax 1991).

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