Chapman v. Commissioner

1985 T.C. Memo. 359, 50 T.C.M. 461, 1985 Tax Ct. Memo LEXIS 269
CourtUnited States Tax Court
DecidedJuly 22, 1985
DocketDocket No. 28424-83.
StatusUnpublished

This text of 1985 T.C. Memo. 359 (Chapman 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
Chapman v. Commissioner, 1985 T.C. Memo. 359, 50 T.C.M. 461, 1985 Tax Ct. Memo LEXIS 269 (tax 1985).

Opinion

THOMAS O. CHAPMAN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Chapman v. Commissioner
Docket No. 28424-83.
United States Tax Court
T.C. Memo 1985-359; 1985 Tax Ct. Memo LEXIS 269; 50 T.C.M. (CCH) 461; T.C.M. (RIA) 85359;
July 22, 1985.

*269 Held: (1) P is liable for the addition to tax for fraud under sec. 6653(b), I.R.C. 1954.

(2) The United States is not entitled to an award of damages under sec. 6673, I.R.C. 1954, since the proceedings herein were not instituted or maintained primarily for delay, and P's position in such proceedings was not frivolous or groundless.

Scott McLarty, for the petitioner.
Willie Fortenberry and Gioele Settembrini, Jr., for the respondent.

SIMPSON

MEMORANDUM FINDINGS OF FACT AND OPINION

SIMPSON, Judge: The Commissioner determined a deficiency in the petitioner's Federal income tax for 1981 of $4,167.00 and an*270 addition to tax of $2,084.00 pursuant to section 6653(b) of the Internal Revenue Code of 1954. 1 After concessions, the issues for decision are: (1) Whether the petitioner is liable for the addition to tax for fraud under section 6653(b); and (2) whether the United States is entitled to an award of damages under section 6673.

FINDINGS OF FACT

Some of the facts have been stipulated, and those facts are so found.

The petitioner, Thomas O. Chapman, was a legal resident of Tampa, Fla., at the time he filed his petition in this case. He submitted tax protestor type documents in lieu of a valid Federal income tax return for 1981.

Prior to and during 1981, the petitioner worked as a crane operator. During 1981, he received wages totaling $20,788.03, and he received $315.00 from the Florida Department of Labor and Employment Security. The petitioner timely received Forms W-2 from each of his 1981 employers showing the wages paid to him. The documents which the petitioner submitted in lieu of a proper Federal income tax return for*271 1981 were prepared for him by a member of the Keystone Society, an organization that advocated that wages were not taxable income.

At the time he submitted tax protestor documents in lieu of a proper tax return for 1981, the petitioner was a member of the Keystone Society. Such documents were typical of the documents submitted to the Internal Revenue Service by members of the Keystone Society. The documents submitted by the petitioner to the IRS in lieu of a proper tax return included: (1) A Form 1040 which claimed that he had received no wage income in 1981, (2) nine Forms W-2 which had been marked "incorrect," and (3) a document entitled "Affidavit" in which the petitioner stated that the amounts shown on the Forms W-2 were not includable as income. Attached to the "Affidavit" were eight documents entitled "Request for Corrected Form W-2 Wage and Tax Statement" which were allegedly sent to his 1981 employers in an attempt to have them change the amounts of wages on the original Forms W-2.

During 1981, the petitioner submitted to his employers at least four Forms W-4 (Employee's Withholding Exemption Certificate) claiming to be exempt from withholding because he had been exempt*272 from Federal income tax in the previous year and expected to owe no Federal income tax for 1981. During 1980 and 1982, he also submitted to his employers Forms W-4 on which he claimed to be exempt from withholding. He continued to submit Forms W-4 which claimed that he was exempt from withholding until the IRS began to assert penalties against him for submitting false Forms W-4. Prior to 1981, the petitioner filed proper Federal income tax returns which reported as income the amounts that he received in those years as wages.

In his notice of deficiency, dated July 10, 1983, the Commissioner determined that the petitioner had received $20,788.03 in taxable wages and $315.00 in unemployment compensation during 1981. He allowed the petitioner no deductions; he did allow the petitioner one exemption. The Commissioner also determined that the petitioner was liable for the addition to tax for fraud under section 6653(b) for 1981.

The petitioner filed his petition on October 4, 1983. On October 5, 1983, he signed an amended Federal income tax return for 1981. The petitioner's amended 1981 income tax return was received by the IRS on October 14, 1983. On such return, the petitioner*273 reported his wages and other taxable income.

OPINION

At the outset of the trial, the parties announced that they had agreed on the deficiency in this case. They agreed that the wages and other income received by the petitioner in 1981 were taxable; they also agreed that he was entitled to deductions for certain employee business expenses and other items. Thus, the first issue for decision is whether the petitioner is liable for the addition to tax for fraud.

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Bluebook (online)
1985 T.C. Memo. 359, 50 T.C.M. 461, 1985 Tax Ct. Memo LEXIS 269, Counsel Stack Legal Research, https://law.counselstack.com/opinion/chapman-v-commissioner-tax-1985.