Coscia v. Commissioner

1981 T.C. Memo. 47, 41 T.C.M. 818, 1981 Tax Ct. Memo LEXIS 696
CourtUnited States Tax Court
DecidedFebruary 9, 1981
DocketDocket No. 8436-78.
StatusUnpublished

This text of 1981 T.C. Memo. 47 (Coscia v. Commissioner) is published on Counsel Stack Legal Research, covering United States Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Coscia v. Commissioner, 1981 T.C. Memo. 47, 41 T.C.M. 818, 1981 Tax Ct. Memo LEXIS 696 (tax 1981).

Opinion

STANLEY WESLEY COSCIA, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Coscia v. Commissioner
Docket No. 8436-78.
United States Tax Court
T.C. Memo 1981-47; 1981 Tax Ct. Memo LEXIS 696; 41 T.C.M. (CCH) 818; T.C.M. (RIA) 81047;
February 9, 1981.

*696 Held, part of the underpayment of petitioner's 1974 and 1975 Federal income taxes was due to fraud with intent to evade tax under section 6653(b), I.R.C. 1954.

Willie Fortenberry, for the respondent.

WILES

MEMORANDUM FINDINGS OF FACT AND OPINION

WILES, Judge: Respondent determined the following deficiencies and additions to tax in petitioner's Federal income taxes:

Section 1 6653(b)
YearDeficiencyAddition to Tax
1974$ 2,790.68$ 3,765.98
19753,801.131,900.56
1976116.630

When this case was called from the calendar at St. Petersburg, Florida, on June 23, 1980, and again when the case was called for trial, there was no appearance by or on behalf of petitioner. Respondent thereupon moved that*697 the case be dismissed for lack of prosecution and that the Court sustain the deficiencies and additions to tax for fraud as set forth in the notice of deficiency. The Court granted respondent's motion to dismiss with respect to the deficiencies for the years 1974, 1975, and 1976. Accordingly, the only remaining issue for decision is whether any part of petitioner's underpayment of tax for 1974 and 1975 was due to fraud with intent to evade tax.

FINDINGS OF FACT

Most of the facts have been deemed admitted under Rule 90, Tax Court Rules of Practice and Procedure, 2 and are found accordingly.

*698 Stanley Wesley Coscia (hereinafter petitioner) resided in Tampa, Florida, when he filed his joint 1974 and 1975 Federal income tax returns and when he filed his petition in this case.

During 1974 and 1975, petitioner was employed as a fireman for the City of Tampa and received wages in the amounts of $ 12,230 and $ 13,640, respectively. He reported these wages as income on his tax returns for those years.

During the two years at issue, petitioner received gambling income, as indicated on Internal Revenue Service Forms 1099, from pari-mutuel betting on jai alai and dog races in the respective amounts of $ 23,181.10 and $ 13,586.80. Forms 1099 containing the name, address, social security number, amount received, and signature of the recipient were required to be submitted by jai alai and dog racing establishments to the Internal Revenue Service on parimutual tickets paying $ 600 or more.

Sometime in 1975, petitioner approached two individuals, Monroe Brock (hereinafter Brock) and Ramon Ramasanto (hereinafter Ramasanto) at the Tampa dog track and asked them to cash tickets for him in exchange for ten percent of the winnings. Brock and Ramasanto often attended the races and*699 regularly cashed tickets purchased by others for a fee, usually ten percent of the amount collected. Persons acting in this capacity are commonly referred to as "ten percenters" and the purpose of using them is to shield the actual ticket holder from having to sign a Form 1099 in order to collect large payoffs. In their capacity as "ten percenters," Brock and Ramasanto cashed winning tickets for petitioner in the respective amounts of $ 900 and $ 2,800. After providing the necessary information and signing the Forms 1099, Brock and Ramasanto returned the winnings to petitioner and received their agreed upon percentage. Petitioner did not report these winnings on his 1975 return.

While undergoing audit by the Internal Revenue Service, petitioner was personally interviewed on several occasions by Special Agent Craig Waldon and Revenue Agent Rene Morissette. During his separate meetings with these agents, petitioner denied knowing Brock, stated that he split a winning ticket with Ramasanto, but repeatedly denied ever using the services of Ramasanto or anyone else as a "ten percenter," and denied that he had unreported gambling income for 1974 and 1975. When shown copies of Forms*700 1099 bearing his name and signature which revealed gambling winnings in excess of amounts reported on his returns, petitioner's only comment was "anything I signed was mine." Throughout the audit process, petitioner was given every opportunity to explain the omissions of gambling income for 1974 and 1975 and to substantiate claimed gambling losses in those years, but was uncooperative and uninformative.

As part of his investigation of petitioner's tax liability, Special Agent Waldon interviewed Brock and Ramasanto and asked them about their connection with petitioner.

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Bluebook (online)
1981 T.C. Memo. 47, 41 T.C.M. 818, 1981 Tax Ct. Memo LEXIS 696, Counsel Stack Legal Research, https://law.counselstack.com/opinion/coscia-v-commissioner-tax-1981.