CURTIS v. COMMISSIONER

2001 T.C. Memo. 308, 82 T.C.M. 943, 2001 Tax Ct. Memo LEXIS 346
CourtUnited States Tax Court
DecidedDecember 3, 2001
DocketNo. 11125-95
StatusUnpublished
Cited by1 cases

This text of 2001 T.C. Memo. 308 (CURTIS 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
CURTIS v. COMMISSIONER, 2001 T.C. Memo. 308, 82 T.C.M. 943, 2001 Tax Ct. Memo LEXIS 346 (tax 2001).

Opinion

LAUREL ANN CURTIS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
CURTIS v. COMMISSIONER
No. 11125-95
United States Tax Court
T.C. Memo 2001-308; 2001 Tax Ct. Memo LEXIS 346; 82 T.C.M. (CCH) 943; T.C.M. (RIA) 54556;
December 3, 2001, Filed
Curtis v. Commissioner, 232 F.3d 893, 2000 U.S. App. LEXIS 32527 (9th Cir., 2000)

*346 Decision will be entered for respondent.

On remand from the Court of Appeals for the Ninth Circuit

   to elaborate the evidence relied on by the Court in Curtis v.

   Commissioner, T.C. Memo 1996-484, revd. and remanded

   without published opinion 232 F.3d 893 (9th Cir. 2000), to

   conclude that respondent had provided the minimal evidentiary

   foundation supporting his determination of unreported income.

   See Weimerskirch v. Commissioner, 596 F.2d 358 (9th Cir.

   1979), revg. 67 T.C. 672 (1977).

     Held: Findings made to support conclusion that

   proper foundation exists.

Laurel Ann Curtis, pro se.
Brenda M. Fitzgerald, for respondent.
Halpern, James S.

HALPERN

SUPPLEMENTAL MEMORANDUM FINDINGS OF FACT AND OPINION

HALPERN, Judge: This case has been remanded by the Court of Appeals for the Ninth Circuit (sometimes the Court of Appeals). Our original report is Curtis v. Commissioner, T.C. Memo 1996-484 (the original*347 report), revd. and remanded without published opinion 232 F.3d 893 (9th Cir. 2000). In the original report, we sustained respondent's determinations of deficiencies in Federal income tax for petitioner's taxable years 1983 through 1993, as well as respondent's determinations of additions to tax for each of those years under sections 6651(a)(1) (failure to file return) and 6654(a) (failure to pay estimated tax). We also found that petitioner's position in this case was both frivolous and groundless, and that petitioner had undertaken certain actions primarily for delay. On account thereof, we imposed a penalty on petitioner under section 6673(a)(1).

This case involves unreported income. In the original report, we recognized that any appeal would likely lie to the Court of Appeals for the Ninth Circuit. We stated:

     The general rule is that the burden of proof is upon

petitioner, Rule 142(a), which she must carry by a preponderance

   of the evidence, e.g., Schaffer v. Commissioner,

  779 F.2d 849, 858 (2d Cir. 1985), affg. in part and remanding

  Mandina v. Commissioner, T.C. Memo 1982-34. * * *

   Under Weimerskirch v. Commissioner, 596 F.2d 358*348 (9th

   Cir. 1979), revg. 67 T.C. 672 (1977), to which we defer in

   accordance with the doctrine of Golsen v. Commissioner,

  54 T.C. 742 (1970), affd. 445 F.2d 985 (10th Cir. 1971), we must

   examine the record to determine whether there is a minimal

evidentiary foundation supporting respondent's determination of

   unreported income. If there is not, respondent's determination

   will be deemed arbitrary and, consequently, she will lose her

presumption of correctness and will be forced to go forward with

   the evidence. Weimerskirch v. Commissioner, supra.

The record, however, does contain evidence supporting

   respondent's determination of unreported income, and, therefore,

   the burden of proof remains entirely with petitioner.

Commissioner v. Curtis, supra (fn. ref. omitted).

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Related

Curtis v. Commissioner
73 F. App'x 200 (Ninth Circuit, 2003)

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