Boyce v. Commissioner

1990 T.C. Memo. 555, 60 T.C.M. 1082, 1990 Tax Ct. Memo LEXIS 627
Procedural entryThis page is a short order in Boyce v. Commissioner. Read the opinion of the Court — 60 T.C.M. 1549
United States Tax Court·Decided October 24, 1990·No. Docket No. 6979-89·Unpublished

Opinion

JAMES M. BOYCE, JR., AND SHELLEY A. BOYCE, Petitioners, v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Boyce v. Commissioner
Docket No. 6979-89
United States Tax Court
T.C. Memo 1990-555; 1990 Tax Ct. Memo LEXIS 627; 60 T.C.M. (CCH) 1082; T.C.M. (RIA) 90555;
October 24, 1990, Filed

*627An appropriate order and decision will be entered.

James M. Boyce and Shelley A. Boyce, pro se.
June Y. Bass, for the respondent.
HAMBLEN, Judge.

HAMBLEN

MEMORANDUM OPINION

This matter is before the Court on respondent's motion for partial summary judgment pursuant to Rule 1211 and petitioners' motion to defer consideration of respondent's motion.

The issues that respondent seeks to*628 have adjudicated in his favor are (1) whether petitioners, as citizens and residents of California, are exempt from paying Federal income taxes as provided by subtitle A of the Internal Revenue Code and its related regulations, and (2) whether respondent or his delegate, in issuing the statutory notices of deficiency to petitioners, has deprived them of the due process and equal protection guarantees of the Constitution of the United States.

Respondent filed his motion for partial summary judgment on July 30, 1990. Subsequently, petitioners James M. Boyce, Jr. (hereinafter Mr. Boyce) and Shelley A. Boyce (hereinafter Mrs. Boyce) were ordered to file a response by August 24, 1990, which petitioners failed to do. On August 28, 1990, petitioners filed their "motion to defer consideration of respondent's motion for partial summary judgment to permit discovery* * *." The following facts are based on the parties' conflicting motions, pleadings, and supporting documents.

During the years 1979 through 1984, petitioners were married and earning a living shoeing horses in Southern California. They jointly filed Federal income tax returns for 1979, 1980, and 1981, on which they claimed*629 that Mr. Boyce was "self-employed" and Mrs. Boyce was a "homemaker." However, petitioners failed to disclose any financial information on the returns for those years and filled-in all the appropriate lines of each return with the words "none" or "object." Petitioners failed to file Federal income tax returns for the years 1982, 1983, and 1984.

By separate statutory notices of deficiency, both of which are dated March 17, 1989, respondent determined deficiencies in, and additions to, petitioners' Federal income taxes as follows:

JAMES M. BOYCE
SectionSectionSection
YearDeficiency6653(b)6661(a)6654(a)
1979$ 3,947$ 1,974-0--0-
1980$ 4,887$ 2,444-0-$ 311
1981$ 12,705$ 6,353-0-$ 973
SectionSectionSectionSection
YearDeficiency6653(b)(1)6653(b)(2)6661(a)6654(a)
1982$ 15,471$ 7,736  *$ 3,868$ 1,506
1983$ 14,854$ 7,427 ***630$ 3,714$   908
1984$ 14,491$ 7,246***$ 3,623$   912

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Boyce v. Commissioner, 1990 T.C. Memo. 555, 60 T.C.M. 1082, 1990 Tax Ct. Memo LEXIS 627 (tax 1990).

1990 T.C. Memo. 555 (Boyce v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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