Dileo v. Comm'r

96 T.C. No. 42, 96 T.C. 858, 1991 U.S. Tax Ct. LEXIS 55
CourtUnited States Tax Court
DecidedJune 24, 1991
DocketDocket Nos. 22366-86, 22367-86, 15778-87
StatusPublished
Cited by7 cases

This text of 96 T.C. No. 42 (Dileo v. Comm'r) 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
Dileo v. Comm'r, 96 T.C. No. 42, 96 T.C. 858, 1991 U.S. Tax Ct. LEXIS 55 (tax 1991).

Opinion

NlMS, Chief Judge:

Respondent determined the following deficiencies in and additions to petitioners’ Federal income tax:

Additions to tax
Sec. Sec. Sec. See.
Petitioners Year Deficiency 6653(b) 6653(b)(1) 6653(b)(2) 6661
Joseph R. 1978 $5,068.00 $2,534.00
and Mary 1979 10,635.37 5,317.69
A. DiLeo 1980 10,303.75 5,151.87
1981 11,157.51 5,578.75
1982 12,209.45 $6,104.72
Walter E. and 1978 4,681.00 2.340.50
Michele A. 1979 12,867.89 6,433.94
Mycek, Jr. 1980 11,405.99 5,703.00
1981 5,789.00 2.894.50
Additions to tax
Sec. Sec. Sec. Sec.
Petitioners Year Deficiency 6658(b) 6658(b)(1) 6658(b)(2) 6661
Arcelo 1978 25,724.76 12.862.38
Reproduction 1979 21,959.47 10,979.74
Co., Inc. 1980 25,698.78 12.849.39
1981 21,663.52 10,831.76
1982 24,384.82 12,192.41 2$6,096.21
1 50 percent of interest due on $12,209.45
2 50 percent of interest due on $24,384.82

(Unless otherwise indicated, all section references are to the Internal Revenue Code in effect for the years in issue. All Rule references are to the Tax Court Rules of Practice and Procedure.)

The issues for decision are whether (1) petitioners understated their income tax in the amounts determined by respondent in his notices of deficiency for the years in issue; (2) petitioners are liable for additions to tax for fraud under section 6653(b) for the years in issue; (3) Arcelo Reproduction Co., Inc., is liable for an addition to tax under section 6661 for 1982; (4) respondent is barred from assessing the income tax due from petitioners by the statute of limitations for the years in issue; (5) Michele Mycek and Mary DiLeo are entitled to relief from any liability for tax as innocent spouses under section 6013(e) for the years in issue; and (6) respondent’s use of a person who participated in the grand jury investigation to assist him in this civil case was a violation of rule 6(e), Federal Rules of Criminal Procedure, or gave respondent an unfair discovery advantage.

FINDINGS OF FACT

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

Petitioner Arcelo Reproduction Co., Inc. (Arcelo), is a corporation with its sole place pf business at 7 North Lawn Avenue, Elmsford, New York. Petitioners Walter E. Mycek, Jr., and Michele A. Mycek (Myceks) are married individuals with legal residence at 34 Green Valley Road, Armonk, New York. Petitioners Joseph R. DiLeo and Mary A. DiLeo (DiLeos) are married individuals with legal residence at 55 Park Circle, White Plains, New York.

Arcelo filed corporate income tax returns (Forms 1120) with respondent for the taxable years 1978, 1979, 1980, 1981, and 1982. The Myceks filed joint individual income tax returns (Forms 1040) with respondent for the taxable years 1978, 1979, 1980, and 1981. The DiLeos filed joint individual income tax returns (Forms 1040) with respondent for the taxable years 1978, 1979, 1980, 1981, and 1982.

From 1978 through 1982, Arcelo was engaged in the business of printing and lithography. From 1978 through

1982, petitioner Walter E. Mycek, Jr. (Mycek) was the president of Arcelo and owner of 50 percent of its stock. From 1978 through 1982, petitioner Joseph R. DiLeo (DiLeo) was the secretary/treasurer of Arcelo and owner of 50 percent of its stock. Mycek and DiLeo were responsible for the day-to-day operations of Arcelo and the maintenance of its books and records concerning income it received and expenses it paid.

On or about June 21, 1977, Mycek and DiLeo opened checking account number 408-1-018923 in the name of Arcelo at the Chase Manhattan Bank (Chase account) which served as a depository for a portion of Arcelo’s gross receipts. On or about October 12, 1979, Mycek and DiLeo opened checking account number 1620-9247 in the name of Arcelo at Citibank (Citibank account) which served as a depository for a portion of Arcelo’s gross receipts. On or about August 17, 1981, Mycek and DiLeo opened checking account number 1-65509-8 in the name of Arcelo at the Connecticut Bank & Trust Co. (CBT account which served as a depository for a portion of Arcelo’s gross receipts. On or about December 14, 1982, Mycek and DiLeo opened checking account number 699-876 in the name of Arcelo at Bank Mart (Mart account) which served as a depository for a portion of Arcelo’s gross receipts. (Hereinafter, the Chase, Citibank, CBT, and Mart accounts will be collectively referred to as the secret bank accounts.)

From 1978 through 1982, Mycek and DiLeo deposited the following amounts of Arcelo’s gross receipts into the Chase, Citibank, CBT, and Mart accounts:

Deposits 1978 1979 1980 1981 1982
Chase $78,147.32 $80,865.62 $7,992.17 $7,466.23
Citibank --- 2,581.28 94,841.18 46,232.42
CBT --- --- --- 30,253.31 $81,448.39
Mart — — — — 5,458.00
Total 78,147.32 83,446.90 102,833.35 83,951.96 86,906.39

None of the deposits which were made to the secret bank accounts were included in the gross receipts which were reported by Arcelo on its corporate Federal income tax returns.

From 1978 through 1981, Mycek received certain funds from the Chase, Citibank, and CBT accounts by his receipt and negotiation of checks made payable to him on said accounts. The Myceks did not report any of the funds received from the Chase, Citibank, and CBT accounts on their Federal income tax returns. The Myceks received the following amounts from the Chase, Citibank, and CBT accounts:

Checks drawn 1978 1979 1980 1981
Chase $14,204 $29,777.26 $3,200 $600.00
Citibank 22,380 15.102.16
CBT 9,534.00
Total 14,204 29,777.26 25,580 25.236.16

From 1978 through 1982, DiLeo received certain funds from the Chase, Citibank, and CBT accounts by his receipt and negotiation of checks made payable to him on said accounts.

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Dileo v. Comm'r
96 T.C. No. 42 (U.S. Tax Court, 1991)

Cite This Page — Counsel Stack

Bluebook (online)
96 T.C. No. 42, 96 T.C. 858, 1991 U.S. Tax Ct. LEXIS 55, Counsel Stack Legal Research, https://law.counselstack.com/opinion/dileo-v-commr-tax-1991.