Cooney v. Commissioner

1994 T.C. Memo. 50, 67 T.C.M. 2128, 1994 Tax Ct. Memo LEXIS 53
United States Tax Court·Decided February 9, 1994·No. Docket No. 20897-92·Unpublished

Opinion

EDWARD ANTHONY COONEY, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Cooney v. Commissioner
Docket No. 20897-92
United States Tax Court
T.C. Memo 1994-50; 1994 Tax Ct. Memo LEXIS 53; 67 T.C.M. (CCH) 2128;
February 9, 1994, Filed

*53 An appropriate order denying in part and granting in part respondent's motion for summary judgment will be issued.

Edward Anthony Cooney, pro se.
For respondent: Carmino J. Santaniello.
LARO

LARO

MEMORANDUM OPINION

LARO, Judge: Respondent moves pursuant to Rule 121 for an order granting summary judgment in her favor on all issues in this case. 1 Respondent contends that there is no issue of material fact to be resolved, and, accordingly, she is entitled to a decision in her favor as a matter of law. In response to respondent's motion, petitioner alleges in relevant part that

1. Failure to file income tax returns does not in and of itself establish fraud.

2. Absent badges of fraud, proof of which does not exist in this case, summary judgment should not apply, in a conviction under § 26 U.S.C. 7203.

*54 As explained in detail below, we hold that some of the issues in this case are ripe for summary adjudication; we will grant in part and deny in part respondent's motion for summary judgment.

The case is before the Court pursuant to a petition filed by Edward Anthony Cooney (petitioner) for a redetermination of respondent's determination of deficiencies in, and additions to, the Federal income taxes for his 1980 through 1987 taxable years. Respondent's determination is reflected in her notice of deficiency issued to petitioner on June 18, 1992. This notice determines, in part, that petitioner is liable for the following amounts:

Additions to Tax 
Sec. Sec.Sec.Sec. Sec. Sec.
YearDefic6653(b)6653(b)(1)6653(b)(2) *665366536654
iency(b)(1)(A)(b)(1)(B)
1980$ 1,204
1981$ 29   2,412$ 367  
1982104$ 4,564 1879
19833,02111,3822802
19848,8233792
19855048,1024899
19862,091$ 17,70651,039
198730,414

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Cooney v. Commissioner, 1994 T.C. Memo. 50, 67 T.C.M. 2128, 1994 Tax Ct. Memo LEXIS 53 (tax 1994).

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