Corson v. Commissioner

1965 T.C. Memo. 214, 24 T.C.M. 1107, 1965 Tax Ct. Memo LEXIS 115
United States Tax Court·Decided August 10, 1965·No. Docket Nos. 59603, 59604, 60425.·Unpublished·Cited by 1 cases

Opinion

M. Lois Corson, et al. 1 v. Commissioner.
Corson v. Commissioner
Docket Nos. 59603, 59604, 60425.
United States Tax Court
T.C. Memo 1965-214; 1965 Tax Ct. Memo LEXIS 115; 24 T.C.M. (CCH) 1107; T.C.M. (RIA) 65214;
August 10, 1965

*115 Petitioner, Harry J. Alker, Jr., was convicted in a criminal trial in the United States District Court for the Eastern District of Pennsylvania of filing false and fraudulent returns for 1947, 1948, 1949, and 1950. In these proceedings respondent has asserted deficiencies and fraud penalties for those years and also for the prior years 1942 to 1946, inclusive.

Held: On the evidence that respondent's determination of fraud for the years 1947 to 1950, inclusive, is sustained but that respondent has failed to prove fraud for the years 1942 to 1946, inclusive.

Held, further, the deficiencies determined for the prior years 1942 to 1945, inclusive, are barred by the statute of limitations.

Held, further, that, except for the adjustments required by the stipulation or the Opinion herein, the deficiencies for 1946, for which no return was filed, and for the years 1947 to 1949, inclusive, are sustained for lack of proof of error in respondent's determination.

Held, further, the additions to tax under section 294(d)(1)(A), I.R.C. 1939 (failure to file declaration of tax), for the years 1946, 1947, 1948, 1949, and 1950, are sustained.

Held, further, the deficiencies determined against*116 petitioners M. Lois Corson and Marion Alker, each for the years 1948 and 1950, except for adjustments in accordance with this Opinion, are sustained for lack of proof of error in respondent's determination.

Robert M. Taylor, for the petitioners. Stephen P. Cadden and William J. Hagan, for the respondent.

HOYT

HOYT, Judge: These consolidated proceedings involve income tax deficiencies and additions to tax as follows:

HARRY J. ALKER, JR., Docket No. 60425
Additions
to the Tax
Sec. 294(d)(1)(A)Penalties
IRC 1939Sec. 291(a)
(10%, failure toSec. 293(b)IRC 1939
Deficiencyfile declarationIRC 1939(25%, de-
YearDeterminedestimated tax)(50%, fraud)linquency)
1942$ 6,965.77$ 3,482.88
19435,358.26$ 535.832,679.13
19446,247.30624.733,123.65$ 1,561.83
19457,078.83707.883,539.42
19467,098.89709.893,549.451,774.72
194770,591.857,059.1935,295.9317,647.96
194855,241.135,524.1127,620.57
1949223,143.8022,678.69111,571.9055,785.95
195054,053.855,405.3927,026.9313,513.46
Totals$435,779.68$43,245.71$217,889.86$90,283.92

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Corson v. Commissioner, 1965 T.C. Memo. 214, 24 T.C.M. 1107, 1965 Tax Ct. Memo LEXIS 115 (tax 1965).

1965 T.C. Memo. 214 (Corson v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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