Christensen v. Commissioner

1982 T.C. Memo. 672, 45 T.C.M. 160, 1982 Tax Ct. Memo LEXIS 71
Procedural entryThis page is a short order in Christensen v. Commissioner. Read the opinion of the Court — 47 T.C.M. 1558
United States Tax Court·Decided November 22, 1982·No. Docket No. 6718-79.·Unpublished

Opinion

EDWARD DEAN CHRISTENSEN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Christensen v. Commissioner
Docket No. 6718-79.
United States Tax Court
T.C. Memo 1982-672; 1982 Tax Ct. Memo LEXIS 71; 45 T.C.M. (CCH) 160; T.C.M. (RIA) 82672;
November 22, 1982.
Edward Dean Christensen, pro se.
*72 Randy G. Durfee, for the respondent.

KORNER

MEMORANDUM FINDINGS OF FACT AND OPINION

KORNER, Judge: Respondent determined deficiencies against petitioner in individual income tax, plus additions to tax, for the calendar years 1972 through 1977 as follows:

TAXABLE YEAR
ENDEDDEFICIENCY INADDITIONS TO TAX UNDER SECTIONS 1
DECEMBER 31INCOME TAX6651(a)6653(a)6653(b)
1972$13,486.69$6,743.35
197322,024.6311,012.31
197416,629.208,314.60
197522,178.985,544.751,108.95
197614,603.413,650.85730.17
1977427.00106.7521.35

All such amounts are in dispute, together with a claimed overpayment by petitioner for the year 1972 of income tax in the amount of $11,783.30.

FINDINGS OF FACT

Some of the facts herein have been stipulated and are so found. The stipulation of facts and exhibits attached thereto are incorporated herein by this reference.

During*73 the years 1972 through 1977, petitioner was a single individual, and resided for some undisclosed part of the period in the State of Utah, and resided in the State of Washington for another undisclosed part of the period. At the time of filing his petition herein, petitioner was a resident of Salt Lake City, Utah.

Petitioner timely filed U.S. individual income tax returns for the years 1968, 1969, 1970 and 1971. Petitioner did not file income tax returns for the years 1972 through 1977. On or about October 26, 1979, petitioner mailed to respondent's Service Center at Ogden, Utah, Forms 1040, executed by him, and purporting to be his individual income tax returns for the years 1972 through 1977. Aside from his name, address and social security number, none of said forms contained any information from which petitioner's taxable income and tax liability could be determined.

During the taxable years 1972, 1973, 1974, 1975, and in the year 1976 up to the month of July, when he retired, petitioner was employed as a commercial airline pilot for United Airlines. In July, 1976, petitioner retired from this employment and thereafter, in 1976 and 1977, received retirement pension payments*74 from United Airlines. The salary paid to petitioner by United Airlines during his period of employment and prior to his retirement was as follows:

YEARGROSS SALARY
1972$44,403.86
197345,214.52
197447,643.66
197555,471.63
197632,478.33

For and during each of the years 1973, 1974, 1975 and 1976, petitioner filed an exemption certificate on Form W4-E with his employer, United Airlines, in which petitioner certified under penalties of perjury that he had incurred no Federal income tax liability for the immediately preceding year, and that he anticipated no such liability for the current year. As the result of these actions by petitioner, United Airlines withheld only $1,356.02 from petitioner's salary on account of Federal income tax for 1973, and withheld nothing on account of Federal income tax from petitioner's salary for the years 1974, 1975 and 1976.

In the year 1955, petitioner purchased a parcel of real estate near Elgin, Illinois, at an undisclosed price. On October 31, 1972, petitioner sold 3.057 acres of this tract, for cash, and received $65,000 in sales proceeds. In the year 1973, a further portion of this tract, consisting of 13.842*75 acres, was sold by petitioner for an undisclosed price. In 1976, petitioner sold a further portion of the above tract for an undisclosed price.

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Christensen v. Commissioner, 1982 T.C. Memo. 672, 45 T.C.M. 160, 1982 Tax Ct. Memo LEXIS 71 (tax 1982).

1982 T.C. Memo. 672 (Christensen v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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