Camacho v. Commissioner

1989 T.C. Memo. 513, 58 T.C.M. 182, 1989 Tax Ct. Memo LEXIS 488
CourtUnited States Tax Court
DecidedSeptember 21, 1989
DocketDocket No. 26425-86
StatusUnpublished

This text of 1989 T.C. Memo. 513 (Camacho 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
Camacho v. Commissioner, 1989 T.C. Memo. 513, 58 T.C.M. 182, 1989 Tax Ct. Memo LEXIS 488 (tax 1989).

Opinion

ANDRE CAMACHO and MARIA CAMACHO, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Camacho v. Commissioner
Docket No. 26425-86
United States Tax Court
T.C. Memo 1989-513; 1989 Tax Ct. Memo LEXIS 488; 58 T.C.M. (CCH) 182; T.C.M. (RIA) 89513;
September 21, 1989
Basil Tzetzo, for the petitioners.
Gary Borek, for the respondent.

WRIGHT

MEMORANDUM FINDINGS OF FACT AND OPINION

WRIGHT, Judge: By notice of deficiency dated April 10, 1986, respondent determined a deficiency in petitioners' Federal income tax for 1982 in the amount of $ 42,268.80, an addition to tax under section 6653(a)(1) 1 in the amount of $ 2,113.44, an addition to tax under section 6653(a)(2) equal to 50 percent of the interest due on the deficiency, and an addition to tax under section 6661 in the amount of $ 4,226.88.

The issues for decision are: (1) whether petitioners had unreported gross income of $ 70,051.11 for taxable year 1982 as determined by the bank deposit method for computing income; and (2) whether petitioners had unreported constructive*490 dividends of $ 16,439.34 for taxable year 1982 from their wholly owned corporation.

FINDINGS OF FACT

Some of the facts have been stipulated and are found accordingly. The stipulation of facts, first supplemental stipulation of facts, second supplemental stipulation of facts, third supplemental stipulation of facts, fourth supplemental stipulation of facts, and attached exhibits are incorporated herein by this reference.

Petitioners, who resided in West Seneca, New York, when they filed their petition in this case, filed a joint Federal income tax return for taxable year 1982. Petitioners' reported income of $ 68,882.21 consisted of $ 45,706.56 in salary from petitioner Andre Camacho's employment as a tool and die maker, $ 17,443.97 in interest, and $ 1,732.68 in dividends.

During 1982 petitioners maintained the following bank accounts in the United States:

Name of BankAccount Number
Goldome BankXX-XX0062
Goldome BankXX-XX9722
Goldome BankXX-XX4766
Goldome BankXX-XX8050
Goldome BankXX-1890
Empire of America BankXX-XXX450-4
Empire of America BankXX-XXX273-2
Erie Savings BankXX-XXX891-1

Bank transcripts for these accounts show that*491 petitioners made deposits totaling $ 444,101.61 during 1982 and that the accounts earned $ 5,557.58 of interest. After making adjustments for deposits attributable to transfers between accounts and previously taxed income, respondent determined that the remaining $ 70,051.11 of unexplained bank deposits represents unreported gross income. At trial, petitioners failed to present any evidence regarding the source of the unexplained deposits.

During 1982 and preceding years, petitioner 2 occasionally transferred funds between Buffalo, New York and Ontario, Canada. The sole transfer from Buffalo to Canada occurred on November 27, 1979, and was in the amount of $ 249,366. Among the transfers from Canada to Buffalo was a transfer of $ 61,384 on March 8, 1982. The next day $ 66,214.11 was deposited into petitioner's Empire of America Bank account number XX-XXX450-4. Respondent included this deposit among the unexplained deposits on which he determined petitioners' unreported gross income. Petitioners failed to present any evidence regarding the source of the transferred funds.

*492 Also during 1982, petitioners received rental payments of $ 32,551.30 for residential rental property owned by Florac, Inc. (Florac), petitioners' wholly owned and operated corporation. Respondent conceded that during 1982, petitioners made expenditures of $ 23,097.96 on behalf of Florac. The balance of rental payments over expenditures was not deposited or credited to an account maintained by Florac, but rather was retained by petitioners for their personal use. Petitioners reported no dividends from Florac on their 1982 Federal income tax return. Respondent determined that during 1982 petitioners received $ 9,453.34 of unreported constructive dividend income from Florac. At trial, petitioners failed to present any evidence regarding their receipt of rental payments for property owned by Florac.

OPINION

Unexplained Bank Deposits

Gross income is defined in section 61(a) as including all income from whatever source derived. Taxpayers are required to maintain books and records sufficient to establish the amount of their gross income. Sec. 1.6001-1(a), Income Tax Regs. If a taxpayer fails to maintain adequate books and records, the Commission may compute the taxpayer's*493 gross income based on deposits to the taxpayer's accounts. Tokarski v. Commissioner, 87 T.C. 74 (1986);

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Bluebook (online)
1989 T.C. Memo. 513, 58 T.C.M. 182, 1989 Tax Ct. Memo LEXIS 488, Counsel Stack Legal Research, https://law.counselstack.com/opinion/camacho-v-commissioner-tax-1989.