Cox v. Commissioner

1993 T.C. Memo. 559, 66 T.C.M. 1430, 1993 Tax Ct. Memo LEXIS 575
Procedural entryThis page is a short order in Cox v. Commissioner. Read the opinion of the Court — 67 T.C.M. 2809
United States Tax Court·Decided November 29, 1993·No. Docket No. 28394-90·Unpublished

Opinion

ROSANNE M. FORREST COX, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Cox v. Commissioner
Docket No. 28394-90
United States Tax Court
T.C. Memo 1993-559; 1993 Tax Ct. Memo LEXIS 575; 66 T.C.M. (CCH) 1430;
November 29, 1993, Filed

*575 Decision will be entered under Rule 155.

Rosanne M. Forrest Cox, pro se.
For respondent: Nancy Graml.
BEGHE

BEGHE

MEMORANDUM FINDINGS OF FACT AND OPINION

BEGHE, Judge: Respondent determined a deficiency in and additions to petitioner's 1985 Federal income tax as follows:

Additions to Tax
YearDeficiencySec. 6653(b)(1)Sec. 6653(b)(2)Sec. 6654Sec. 6661
1985$ 98,594$ 49,29750% of the$ 5,650$ 24,648
interest due on
the deficiency

In the answer to the amended petition, respondent asks that, in the alternative to the additions to tax for fraud under section 6653(b)(1) and (2), we hold petitioner liable for additions to tax for failure to file her 1985 income tax return and negligent or intentional disregard of the rules and regulations under sections 6651 and 6653(a)(1) and (2), respectively. 1 Respondent, in an amendment to the answer, conceded the addition to tax for substantial understatement of tax under section 6661.

*576 After concessions by respondent, the issues remaining for decision are:

(1) Whether petitioner had taxable income of $ 170,863.47 2 or some lesser amount in 1985;

(2) whether petitioner is liable for additions to tax for fraud for 1985 under section 6653(b)(1) and (2) or, in the alternative, whether petitioner is liable for additions to tax for failure to file her 1985 income tax return and negligent or intentional disregard of the rules and regulations under sections 6651 and 6653(a)(1) and (2), respectively; and

(3) whether petitioner is liable for additions to tax for failure to pay estimated income tax for 1985 under section 6654.

For the reasons that follow, we hold that petitioner had taxable income of $ 151,618.67 and that she is liable for the additions*577 for fraud and failure to pay estimated tax.

FINDINGS OF FACT

Some of the facts have been stipulated, and except as otherwise noted, they are so found. The stipulation of facts, supplemental stipulations of facts, and attached exhibits are incorporated herein.

Petitioner resided in Lone Star, Texas, when she filed her petition and amended petition in this case. In 1985, petitioner resided in Caddo Parish, Louisiana.

Petitioner attended college for 2 years and her work experience, prior to 1985, includes employment as a bookkeeper for two financial institutions.

In 1985, petitioner maintained a checking account and a money market account at the Commercial National Bank (CNB) in Shreveport, Louisiana, under the name Mrs. R. M. Forrest. 3

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Cox v. Commissioner, 1993 T.C. Memo. 559, 66 T.C.M. 1430, 1993 Tax Ct. Memo LEXIS 575 (tax 1993).

1993 T.C. Memo. 559 (Cox v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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