Comptroller of the Treasury v. MacHiz

399 A.2d 946, 42 Md. App. 218, 1979 Md. App. LEXIS 291
CourtCourt of Special Appeals of Maryland
DecidedApril 16, 1979
Docket766, September Term, 1978
StatusPublished
Cited by4 cases

This text of 399 A.2d 946 (Comptroller of the Treasury v. MacHiz) is published on Counsel Stack Legal Research, covering Court of Special Appeals of Maryland primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Comptroller of the Treasury v. MacHiz, 399 A.2d 946, 42 Md. App. 218, 1979 Md. App. LEXIS 291 (Md. Ct. App. 1979).

Opinion

Gilbert, C. J.,

delivered the opinion of the Court.

This case teaches three lessons: 1) former tax collectors do not like to pay income taxes any more than other taxpayers; 2) there is wisdom in not representing yourself in tax disputes; and 3) that the findings of fact made by the Maryland Tax Court are binding on a circuit court if those findings are “supported by substantial evidence.” Md. Code Ann. art. 81, § 229 (o).

The record before us shows that the appellee, Irving Machiz, a former district director for the Internal Revenue Service, and later a paid consultant to the appellant, the Comptroller of the Treasury for the State of Maryland, challenged the appellant’s decision that appellee was liable for the payment of State income taxes for the year 1974. Machiz avers that he was a resident of Florida at that time and, therefore, is not properly chargeable for the payment of Maryland income taxes.

Initially, a hearing officer of the appellant resolved the question of Machiz’s tax liability vel non adversely to the self-represented appellee. Machiz then appealed, pro se, to the Tax Court where he fared no better than he had before the hearing officer. Aggrieved by the action of the Tax Court, Machiz, still acting as his own advocate, appealed to the Circuit Court for Baltimore County. There, the parties litigant submitted the matter to the court on a “Stipulation of Facts.” That stipulation, quoted textually, provided:

“Petitioner, Irving Machiz, 63 years of age, became a resident of Maryland in 1937 and resided in Maryland on a year round basis until 1972. In 1943, he commenced employment with the Internal Revenue Service, ultimately becoming District Director of Internal Revenue Service for the District *220 of Maryland, a position which he held until his retirement on June 30,1972. Mr. Machiz is a certified public accountant. At the time of his retirement, he received offers to join various accounting firms. When he advised them that he was not interested in working full time, only one firm, Berman, Goldman and Ribakow (B.G. & R.), Certified Public Accountants of Columbia, Maryland remained interested. He advised B.G. & R. that he only wanted to be involved three or four months of the year at the most. He advised them that he could be contacted even while in Florida where he was then intending to purchase a home. On that basis, a limitéd partnership arrangement was entered into which lasted four years until June 30, 1976.
In the fall of 1972, Mr. Machiz purchased a condominium home in Miami Beach, Florida. He stated that he spends an average of seven months of the year in Florida, four months in Baltimore and one month travelling; for the year at issue, 1974, he stated that he definitely spent more than 183 days in Florida.
At the time of his retirement and for approximately fourteen years prior thereto, Mr. Machiz resided with his wife, Mildred, at 7401 Campfield Road in Baltimore County, Maryland. They did reside in their Campfield Road home for a period of time in calendar year 1974. In January, 1974, Mr. Machiz registered to vote in the State of Florida. Petitioner’s Exhibit 1, a Florida voting registration card for the year 1976-77, indicated that he registered in Florida on January 17,1974. Records of the Baltimore County Election Board (Respondent’s Exhibit No. 2) reflect that Mr. Machiz’s name was removed from the list of eligible Baltimore County voters on March 4, 1974, the reason being his registration in Florida. The same Exhibit reflected that Mildred Machiz terminated her Baltimore County voting status in June, 1975 *221 and registered to vote in Florida at approximately the same time. Respondent’s Exhibit 1, Mrs. Machiz’s Baltimore County voting registration record reflects that she did vote in Maryland in the 1974 election.
Mr. Machiz attempted to introduce into evidence a notice received in 1975 directing him to report for jury duty in Florida. Respondent’s objection to admission of this notice was sustained. Mr. Machiz did introduce as Petitioner’s Exhibit 2 a Florida Intangible Property Tax Return for the year 1974. Mr. Machiz testified that he was physically in the State of Florida on the last day of the years 1972, 1973, 1974 and 1975. On April 30, 1974, Mr. Machiz entered into an exclusive listing agreement with Grempler Realty, Inc. for the sale of his Baltimore home. The listing agreement was terminated in September with no purchase offers having been received, despite a lowering of the price asked. Petitioner’s Exhibit 3 is a letter confirming the listing agreement. In April of 1976, the home was listed with another realtor, D.H. Blum. The home was still listed as of the date of the hearing at the Maryland Tax Court, July 7, 1976; despite weekly advertisements in two local newspapers, no bids have been received. Testimony also established the following:
(a) In 1974, Mr. Machiz applied for and received a Florida homestead exemption.
(b) Mr. Machiz maintained his Maryland driver’s license throughout the year 1974 and still had the license in July, 1976.
(c) Mr. Machiz’s automobile was registered in the State of Maryland.
(d) Mr. Machiz did not obtain a Florida driver’s license. His automobile was used primarily for business purposes in connection with his association with the Maryland accounting firm of Berman, Goldman and Ribakow.
*222 (e) Mr. Machiz did maintain bank accounts in Maryland during the year 1974.
(f) Mr. Machiz’s wife, who has lived with him throughout their marriage and who has spent the same amount of time in Maryland and Florida as has Mr. Machiz, maintained her Maryland driver’s license and Maryland automobile registration for the year 1974.
(g) Mr. Machiz did not know if he retained phone service at his home in Maryland throughout the year 1974.
(h) Mr. Machiz’s name was listed in the Maryland phone directory for the year 1974.
(i) Mr. Machiz had been a member of the Beth Israel Synagogue Congregation in Baltimore County but does not remember when that membership was discontinued.
(j) Mr. Machiz belonged to no country clubs or social clubs in 1974.
(k) For the year 1974, Mr. Machiz was in Maryland for the months of May, June, September, October and part of November.
In addition to the preceding contacts, testimony at the Maryland Tax Court established the following business contact.
(a) During the year 1974, in addition to his association with B.G. & R., Mr. Machiz was a consultant for the State of Maryland, Comptroller of the Treasury, and delivered twelve lectures during thát year for personnel in the Comptroller’s office.
(b) Mr. Machiz was paid a fixed semi-monthly sum during the course of his partnership with B.G. & R. The terms of his partnership required that he be available throughout the year for consulting work.

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Cite This Page — Counsel Stack

Bluebook (online)
399 A.2d 946, 42 Md. App. 218, 1979 Md. App. LEXIS 291, Counsel Stack Legal Research, https://law.counselstack.com/opinion/comptroller-of-the-treasury-v-machiz-mdctspecapp-1979.