Bromley v. Commissioner

1964 T.C. Memo. 316, 23 T.C.M. 1936, 1964 Tax Ct. Memo LEXIS 22
CourtUnited States Tax Court
DecidedDecember 9, 1964
DocketDocket Nos. 84961, 84962, 85106, 87770.
StatusUnpublished

This text of 1964 T.C. Memo. 316 (Bromley 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
Bromley v. Commissioner, 1964 T.C. Memo. 316, 23 T.C.M. 1936, 1964 Tax Ct. Memo LEXIS 22 (tax 1964).

Opinion

Martin Bromley and Allyn Bromley v. Commissioner.
Bromley v. Commissioner
Docket Nos. 84961, 84962, 85106, 87770.
United States Tax Court
T.C. Memo 1964-316; 1964 Tax Ct. Memo LEXIS 22; 23 T.C.M. (CCH) 1936; T.C.M. (RIA) 640316;
December 9, 1964
Bert B. Rand, Hans A. Nathan, and Samuel Reisman, for the petitioners. Earl C. Crouter, for the respondent.

MULRONEY

Memorandum Findings of Fact and Opinion

MULRONEY, Judge: These consolidated cases involve*23 deficiencies in income tax and additions to tax for fraud for the calendar years 1953 to 1956, inclusive. The deficiencies in tax and additions to tax by dockets and taxable years are as follows:

Note: This case was heard by Judge Clarence V. Opper and briefs were duly filed. Upon his death on June 19, 1964, the case, not having been disposed of, was reassigned to Judge John E. Mulroney and notice was given to the parties that any request for rehearing or reargument might be presented to him within 30 days. No such requests have been received.

Additions to tax
Sec. 293(b)Sec. 6653(b)
DocketI.R.C.I.R.C.
No.YearIncome tax19391954
849611953$ 598,101.22$299,050.61
849621954788,999.45$394,499.73
851061955858,474.09429,237.05 *
8777019561,160,778.64580,389.32

The issues are:

1. Whether part of the deficiency for each taxable year is due to fraud with intent to evade tax;

2. Whether, in the absence of fraud, the statute of limitations bars the assessment of a deficiency for 1953, 1954, or 1955;

3. Whether petitioners realized unreported income in*24 each taxable year from partnership and corporate businesses engaged in buying, selling, servicing, and the operation of coin-operated machines, such as slot, music, and merchandise vending machines, and from other sources;

4. Whether various deductions, claimed during the taxable years in the returns of partnerships in which Martin Bromley was a partner, were properly disallowed, thereby increasing his distributive share of the partnership's income, as follows:

(a) Depreciation of coin-operated machines by Service Games, Honolulu, and Jimmy & Ray Music Service and adjustment of capital gains in connection therewith;

(b) Travel, entertainment, promotion, and general expenses by Service Games, Honolulu, Coast Cigarette Vendors, and Jimmy & Ray Music Service. Some, but not all, of these expense items were deducted by the different partnerships in each taxable year;

(c) A theft loss and a bad debt by Coast Cigarette Vendors for 1953;

(d) A deduction of $10,000 in 1956 as a pro rata share of the payment on a non-competitive agreement by Coast Cigarette Vendors;

(e) A bad debt by Jimmy & Ray Music Service in 1956;

(f) A deduction of $12,344.47 as a pro rata share of the loss*25 in 1956 of Service Games, Guam.

Other issues raised by the pleadings have been waived or abandoned.

Findings of Fact

Some facts are stipulated and they are found accordingly.

Martin Bromley, whose former name was Martin Bromberg, and Allyn Bromley are husband and wife, residing, during all of the years in issue, in Honolulu, Hawaii. They filed their joint income tax returns for 1954, 1955, and 1956 with the district director of internal revenue at Los Angeles, California. Each of these returns listed Bromley's occupation as "Coin machine operator." A Form 1040 income tax return purporting to report their joint 1953 income tax, to which the names of Martin and Allyn Bromley had been signed by Bromley's father, Irving Bromberg, was filed by Irving Bromberg on or before March 15, 1954 with the district director of internal revenue at Los Angeles, California.

Petitioner Allyn Bromley was a housewife and did not participate in the business affairs of her husband. She is a petitioner here because she filed joint returns with her husband. Herein, the term "petitioner" refers to Martin Bromley.

In or about 1940, Irving Bromberg, Glen Hensen, James L. Humpert, and the petitioner*26 formed a coin-operated machine company in Honolulu known as Standard Games. This business continued until 1945, at which time it was sold. Shortly thereafter, Bromberg, Humpert, and petitioner re-entered the coin-operated machine business in Hawaii under the name of Service Games, a Honolulu partnership.

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Bluebook (online)
1964 T.C. Memo. 316, 23 T.C.M. 1936, 1964 Tax Ct. Memo LEXIS 22, Counsel Stack Legal Research, https://law.counselstack.com/opinion/bromley-v-commissioner-tax-1964.