Canzano v. Commissioner

1983 T.C. Memo. 320, 46 T.C.M. 368, 1983 Tax Ct. Memo LEXIS 475
CourtUnited States Tax Court
DecidedJune 6, 1983
DocketDocket No. 6718-77.
StatusUnpublished

This text of 1983 T.C. Memo. 320 (Canzano 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
Canzano v. Commissioner, 1983 T.C. Memo. 320, 46 T.C.M. 368, 1983 Tax Ct. Memo LEXIS 475 (tax 1983).

Opinion

ANTHONY CANZANO and MARY CANZANO, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Canzano v. Commissioner
Docket No. 6718-77.
United States Tax Court
T.C. Memo 1983-320; 1983 Tax Ct. Memo LEXIS 475; 46 T.C.M. (CCH) 368; T.C.M. (RIA) 83320;
June 6, 1983.
*476 Sherman F. Levey and Carol S. Mullin, for the petitioners. Ruth E. Salek, for the respondent.

WILES

MEMORANDUM FINDINGS OF FACT AND OPINION

WILES, Judge: Respondent determined the following deficiencies in, and additions to, petitioners' Federal income taxes:

Addition to Tax
YearDeficiencySec. 6653(b) 1
1969$74,732.75$37,366.37
19704,872.892,436.44

Since the issuance of the notice of deficiency, respondent conceded that petitioner Mary Canzano is an innocent spouse under section 6013(e) with respect to petitioners' 1969 taxable year, and that petitioners are not liable for the deficiency or addition to tax for 1970. In the absence of fraud, the statute of limitations bars respondent from assessment and collection of any deficiency with respect to petitioner Anthony Canzano for 1969. Thus, the principal issue for decision is whether petitioner Anthony Canzano filed a false and fraudulent Federal income tax return with intent to evade tax for 1969, or willfully attempted to defeat or evade tax for such year.

FINDINGS OF*477 FACT

Some of the facts have been stipulated and are found accordingly.

Petitioners resided in Rochester, New York, when they filed their petition herein. During 1969, Anthony Canzano (hereinafter petitioner) and Mary Canzano were husband and wife, and they timely filed a joint Federal income tax return with the Internal Revenue Service Center, Andover, Massachusetts, for such year.

Petitioner is approximately 59 years of age and has been involved in various business and investment activities since he left high school during 1939. 2 Between 1939 and 1946, petitioner worked for a box and lumber company and he also delivered meat for a market located in Rochester. During 1946, petitioner entered the used car business, which he has continuously carried on through 1969. At some time between 1960 and 1970, petitioner and his brother Daniel Canzano invested in certain real estate properties, which included a gas station and a funeral home in Rochester.

During the latter part of 1967, but prior to November of such year, petitioner, Michael Amico (hereinafter M. Amico), Angelo Amico (hereinafter A. Amico), *478 and Oskie DiMarco (hereinafter DiMarco) explored the feasibility of carrying on a travel business whereby they would arrange gambling trips or "junkets" to Las Vegas for individuals in the Rochester and Buffalo vicinities. They became more encouraged about the idea after speaking with individuals who were associated with a few casinos in Las Vegas. On or about November 22, 1967, petitioner, M. Amico, A. Amico, and DiMarco organized the MATO Flyers Club, Inc. (hereinafter MFC) to arrange gambling trips to Las Vegas. All four individuals initially owned 25 percent of MFC's outstanding stock and served as officers of the corporation. 3 MFC rented office space in Rochester and the corporation employed a secretary.

During 1968, MFC began organizing junkets to Las Vegas. 4 Many individuals learned of MFC's junkets by word of mouth, and those individuals who paid the company a nominal "club" membership fee received brochures from MFC which notified them of upcoming junkets. During September 1968, MFC hired*479 Stevie Jo Rice (hereinafter Rice) as the company's secretary and receptionist, replacing their previously hired secretary who had left the company. By the end of 1968, petitioner was the only one of MFC's four organizers who was active in the company's daily operations.

During 1969, MFC organized seven junkets to Las Vegas, two of which were at the Flamingo Hotel and five of which were at the International Hotel. Each of these junkets lasted approximately four days. Both the Flamingo and International hotels were under the same management during 1969. Individuals who went on these junkets were provided free roundtrip airfare, as well as complimentary hotel rooms and meals. In exchange for the free trip, the cost of which was absorbed by the hotel, the guests were expected to gamble at the hotel's casino.

Generally, individuals who went on any of MFC's Las Vegas junkets were required to put up "front money" to cover any potential gambling losses that they might incur. Each individual who went on MFC's junkets had*480 to provide approximately $2,500 in front money, which petitioner generally collected at the airport before allowing that individual to board the airplane. 5 Petitioner would turn the front money over to the hotel when the junket arrived at the hotel.

During the course of a junket, it was common for individuals to incur gambling losses in the amount of their front money prior to the end of their trip.

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Bluebook (online)
1983 T.C. Memo. 320, 46 T.C.M. 368, 1983 Tax Ct. Memo LEXIS 475, Counsel Stack Legal Research, https://law.counselstack.com/opinion/canzano-v-commissioner-tax-1983.