Cisneros v. Commissioner

1980 T.C. Memo. 358, 40 T.C.M. 1141, 1980 Tax Ct. Memo LEXIS 225
United States Tax Court·Decided September 8, 1980·No. Docket No. 2805-75.·Unpublished

Opinion

PETE M. CISNEROS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Cisneros v. Commissioner
Docket No. 2805-75.
United States Tax Court
T.C. Memo 1980-358; 1980 Tax Ct. Memo LEXIS 225; 40 T.C.M. (CCH) 1141; T.C.M. (RIA) 80358;
September 8, 1980, Filed
Rebecca T. Hill, for the respondent.

FAY

MEMORANDUM FINDINGS OF FACT AND OPINION

FAY, Judge: Respondent determined deficiencies in petitioner's Federal income taxes and additions to the tax under section 6653(b) 1 as follows:

Addition
YearDeficiency 2Sec. 6653(b)
1969$ 939.34$ 469.67
19703,092.181,546.09
1971305.47152.74
19721,955.59977.80
19733,778.801,889.40

After due notice and a hearing, respondent's Motion to*226 Dismiss for failure properly to prosecute was granted with respect to the deficiencies for the taxable years 1969 to 1973. 3 Accordingly, the only remaining issue is whether any part of the underpayments of tax for the years in issue was due to fraud with intent to evade tax.

FINDINGS OF FACT

At the time he filed his petition in this case, petitioner Pete M. Cisneros was an inmate at Soledad State Prison, Soledad, Calif. Petitioner was then a legal resident of Fresno, Calif.

When this case was called from the calendar, January 28, 1980, in San Francisco, Calif., neither petitioner nor anyone representing him appeared at trial. On respondent's oral motion under Rule 54, Tax Court Rules of Practice and Procedure, the affirmative allegations in respondent's answer filed July 23, 1976, were deemed admitted under Rule 37(c), id., as follows:

(a) During the taxable years 1969 through 1973, petitioner Pete M. Cisneros operated a service station, a trucking business and sold narcotics. During the years 1969 through 1973, petitioner derived taxable income from his service station, trucking business, and the sale of narcotics.

(b) The petitioner*227 failed to maintain and submit to respondent for examination complete and adequate books of account and records of his income-producing activities for each of the taxable years 1969 through 1973, as required by the applicable provisions of the Internal Revenue Code of 1954, and the regulations promulgated thereunder.

(c) The amount of petitioner's taxable income, deductions, and other items required to be shown on his income tax return for each of the taxable years 1969 through 1973 cannot be determined from the books and records which the petitioner maintained and submitted to respondent for examination.

(d) The respondent has determined petitioner's correct taxable income for the taxable years 1969 through 1973 on the basis of the net worth method.

(e) There are attached hereto as Exhibits A, B, C. D, and E a statement of petitioner and Julia Cisneros' net worth for the years 1969 through 1973. The petitioner did, in fact, on the date specified in Exhibits A, B, C, D, and E have the specific items of assets and liabilities in the amounts set forth therein.

[Specific items omitted. See paragraph (j), infra.]

(f) During the taxable years 1969 through 1973, the*228 petitioner expended for personal living expenses and other purposes for which no deduction is allowable under the Internal Revenue laws the amounts identified in Exhibit B attached hereto as personal living expenses, non-deductible loss on automobile accident (1972 Pontiac) and bail money put up in August of 1973. The petitioner did in fact expend the amount so identified in Exhibit B as follows:

Personal Living Expenses

YearAmount
1969$ 6,073.54
19707,045.06
19718,552.66
19729,277.39
19738,744.36

Non-deductible Loss

1973$1,594.37

Bail Money

Free access — add to your briefcase to read the full text and ask questions with AI

Cisneros v. Commissioner, 1980 T.C. Memo. 358, 40 T.C.M. 1141, 1980 Tax Ct. Memo LEXIS 225 (tax 1980).

1980 T.C. Memo. 358 (Cisneros v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Spies v. United States
317 U.S. 492 (Supreme Court, 1943)
Holland v. United States
348 U.S. 121 (Supreme Court, 1955)
George C. McGee v. Commissioner of Internal Revenue
519 F.2d 1121 (Fifth Circuit, 1975)
Imburgia v. Commissioner
22 T.C. 1002 (U.S. Tax Court, 1954)
Otsuki v. Commissioner
53 T.C. 96 (U.S. Tax Court, 1969)
Stratton v. Commissioner
54 T.C. 255 (U.S. Tax Court, 1970)
McGee v. Commissioner
61 T.C. No. 27 (U.S. Tax Court, 1973)
Gilday v. Commissioner
62 T.C. No. 30 (U.S. Tax Court, 1974)
McGlue v. Commissioner
45 B.T.A. 761 (Board of Tax Appeals, 1941)