De Vaughn v. Commissioner

1983 T.C. Memo. 712, 47 T.C.M. 461, 1983 Tax Ct. Memo LEXIS 84
CourtUnited States Tax Court
DecidedNovember 29, 1983
DocketDocket No. 10844-75.
StatusUnpublished

This text of 1983 T.C. Memo. 712 (De Vaughn 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
De Vaughn v. Commissioner, 1983 T.C. Memo. 712, 47 T.C.M. 461, 1983 Tax Ct. Memo LEXIS 84 (tax 1983).

Opinion

JOHN A. DEVAUGHN AND CAROLYN M. DEVAUGHN, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
De Vaughn v. Commissioner
Docket No. 10844-75.
United States Tax Court
T.C. Memo 1983-712; 1983 Tax Ct. Memo LEXIS 84; 47 T.C.M. (CCH) 461; T.C.M. (RIA) 83712;
November 29, 1983.
*84

Petitioners failed to report on their Federal income tax returns income received from unlawful activities. Held, petitioners failed to report $168,643.11 and $177,112.38 taxable income for the years 1971 and 1972, respectively. Held further, both petitioners are liable for the additions to tax for fraud under sec. 6653(b), I.R.C. 1954.

Peter G. Angelos and Shepard A. Hoffman, for the petitioners.
Daniel J. Wiles and Clare J. Brooks, for the respondent.

STERRETT

MEMORANDUM FINDINGS OF FACT AND OPINION

STERRETT, Judge: By notice of deficiency dated September 25, 1975, respondent determined deficiencies in petitioners' Federal income taxes. Subsequently concessions were made with the consequence that the deficiencies remaining in issue are as follows:

Taxable yearAddition to tax
ended Dec. 31,Deficiencypursuant to sec. 6653(b)
1971$95,307.43$47,653.71
1972101,294.5850,647.29

The issues for decision are (1) whether petitioners had unreported income for the tax years 1971 and 1972, and, if so, by what amount, and (2) whether respondent has established by clear and convincing evidence that part of the underpayment of income tax, if any, for each of these years was due to Mrs. DeVaughn's *85 fraud with intent to evade tax.

This Court has already ruled that the completed contract method was unavailable to the petitioners in reporting their income for 1971 and 1972. This Court has also ruled after a concession by petitioners that Mr. DeVaughn is estopped from denying his liability pursuant to section 6653(b), I.R.C. 1954, for both years at issue by virtue of his conviction for violating section 7201 for both years.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts and exhibits attached thereto are incorporated herein by this reference.

Petitioners, John A. DeVaughn and Carolyn M. DeVaughn, were residents of Lusby, Maryland at the time they filed their petition in this case. Mr. and Mrs. DeVaughn timely filed joint Federal income tax returns for the taxable years 1971 and 1972 with the Internal Revenue Service Center at an unspecified location.

During 1971 DeVaughn worked for the Bechtel Corporation, which was the general contractor for an atomic power plant construction project for the Baltimore Gas and Electric Company in Calvert Cliffs, Maryland. DeVaughn's job at Bechtel was to monitor subcontracts between Bechtel*86 and its subcontractors at the Calvert Cliffs project. Although he left Bechtel in October 1971, DeVaughn's association with certain Bechtel subcontractors continued through 1971 and into 1972.

As a result of his position with Bechtel, DeVaughn, with the assistance of his wife, was able to arrange for kickbacks from Bechtel subcontractors who wished to see competitors' bids before submitting their bids to win contracts with Bechtel. DeVaughn was also able to extract payments from these subcontractors by threatening to stop progress payments, or to terminate contracts altogether. These subcontractors included Campbell-McCormick, Inc., Ajax Soil-Cement Company, Cherry Hill Sand and Gravel Company, Regal Construction Company, Inc., F & T Construction Company, Adelphi Builders, and the Albert Beever Companies.In order to disguise the source of the funds received from these subcontractors, the DeVaughns, or others at the DeVaughns' direction, opened four bank accounts in fictitious company names. The DeVaughns also paid money to Lyle Leeper, Erston Magis, Thomas Allen, Robert C. Williams, Roland Cumor and Rocco Luppino, employees of Bechtel or the subcontractors, who assisted in obtaining *87 the money from the subcontractors.

Many of these funds were deposited into four bank accounts which the DeVaughns or their subordinates opened in fictitious company names. Nancy Fales, the wife of one of DeVaughn's subordinates, opened an account in the name of Free State Equipment Rentals (hereinafter Free State) at the Maryland National Bank. DeVaughn supplied the address for this account. Nancy Fales endorsed all Free State checks in blank and gave them to DeVaughn.

Carville A. Hollingsworth, Jr., the husband of DeVaughn's niece, Kathleen Hollingsworth, opened an account for Construction Services, Inc. (hereinafter CSI) with the Equitable Trust Company, using an address which DeVaughn provided. DeVaughn told Mrs. Hollingsworth that he did not want Bechtel to learn of the existence of this account. Mr. and Mrs.

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1983 T.C. Memo. 712, 47 T.C.M. 461, 1983 Tax Ct. Memo LEXIS 84, Counsel Stack Legal Research, https://law.counselstack.com/opinion/de-vaughn-v-commissioner-tax-1983.