Brooks v. Commissioner

1984 T.C. Memo. 332, 48 T.C.M. 397, 1984 Tax Ct. Memo LEXIS 340
Procedural entryThis page is a short order in Brooks v. Commissioner. Read the opinion of the Court — 82 T.C. 413
United States Tax Court·Decided June 28, 1984·No. Docket No. 2074-65.·Unpublished

Opinion

ROBERT P. BROOKS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Brooks v. Commissioner
Docket No. 2074-65.
United States Tax Court
T.C. Memo 1984-332; 1984 Tax Ct. Memo LEXIS 340; 48 T.C.M. (CCH) 397; T.C.M. (RIA) 840332;
June 28, 1984.
Hans A. Nathan, for the petitioner.
Evelyn Small, for the respondent.

FEATHERSTON

MEMORANDUM FINDINGS OF FACT AND OPINION

FEATHERSTON, Judge: This case was assigned to Special Trial Judge Peter J. Panuthos for the purpose of considering and ruling on respondent's Motion for Judgment on the Pleadings pursuant to Delegation Order No. 8 of this Court, 81 T.C. XXV (1983). The Court agrees with and adopts his opinion which is set forth below.

OPINION OF THE SPECIAL TRIAL JUDGE

PANUTHOS, Special Trial Judge: This case is before the Court on respondent's Motion for Judgment on the Pleadings, filed April 30, 1984, pursuant*341 to Rule 120, 1 on the ground that the United States District Court, Central District of California, entered a judgment which is resjudicata with respect to the deficiencies and additions to tax determined by respondent. Memoranda have been submitted by the parties and a hearing was held on May 30, 1984.

On January 18, 1965, respondent made jeopardy assessments pursuant to the provisions of section 6861(a) 2 of deficiencies and additions to tax as follows:

Additions to Tax
YearDeficienciesSec.6653(b)InterestTotal
1958$ 188,899.88$ 94,449.94$ 65,263.61$ 348,613.43
1959$1,639,912.56$ 819,956.28$ 468,183.80$2,928,052.64
1960$2,007,527.31$1,003,786.16$ 452,693.80$3,464,052.27
1961$2,667,227.05$1,333,613.53$ 441,407.81$4,442,248.39
Total$6,503,611.80$3,251,805.91$1,427,549.02$11,182,966.73

On January 25, 1965, the United States instituted proceedings under the provisions of section 7403 in the United*342 States District Court for the Central District of California to enforce collection of the deficiencies and additions to tax which had been assessed pursuant to the jeopardy assessment.

On March 18, 1965, respondent issued a notice of deficiency to petitioner with respect to the taxable years 1958 through 1961. In said notice respondent determined deficiencies and additions to tax as follows:

Additions to Tax
YearDeficiencySec.6653(b)
1958$ 204,525.50$ 102,262.75
1959$1,641,461.92$ 820,730.96
1960$1,963,540.43$ 981,770.22
1961$2,749,461.93$1,375,239.89
Total$6,558,989.78$3,280,003.82

On April 14, 1965, petitioner timely filed a petition with this Court. At the time of filing his petition, petitioner resided in Vancouver, British Columbia, Canada. On September 23, 1968, respondent timely filed his answer in this proceeding. 3 On April 10, 1970, petitioner timely filed his reply to respondent's answer. 4

*343 On July 23, 1976, the United States District Court, Central District, California, filed an opinion and entered a judgment after a trial on the merits of the Government's action to foreclose Federal tax liens in the matter of United States v. Stonehill,420 F. Supp. 46 (C.D. Cal. 1976). The judgment entered by the United States District Court for the Central District of California, on October 15, 1980 5

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Brooks v. Commissioner, 1984 T.C. Memo. 332, 48 T.C.M. 397, 1984 Tax Ct. Memo LEXIS 340 (tax 1984).

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Related

Commissioner v. Sunnen
333 U.S. 591 (Supreme Court, 1948)
John W. Amos v. Commissioner of Internal Revenue
360 F.2d 358 (Fourth Circuit, 1965)
United States v. Stonehill
702 F.2d 1288 (Ninth Circuit, 1983)
United States v. Stonehill
420 F. Supp. 46 (C.D. California, 1976)
Amos v. Commissioner
43 T.C. 50 (U.S. Tax Court, 1964)
Shaheen v. Commissioner
62 T.C. No. 43 (U.S. Tax Court, 1974)