Dixon v. Commissioner

1979 T.C. Memo. 111, 38 T.C.M. 515, 1979 Tax Ct. Memo LEXIS 414
United States Tax Court·Decided March 27, 1979·No. Docket No. 9661-76.·Unpublished

Opinion

WILLIAM R. DIXON and YVONNE DIXON, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Dixon v. Commissioner
Docket No. 9661-76.
United States Tax Court
T.C. Memo 1979-111; 1979 Tax Ct. Memo LEXIS 414; 38 T.C.M. (CCH) 515; T.C.M. (RIA) 79111;
March 27, 1979, Filed

*414 (1) The Commissioner recomputed Ps' income for 1972 using the bank deposits method. Such method revealed that Ps had unexplained bank deposits, and based thereon, the Commissioner determined a deficiency. Held, Ps failed to prove that the Commissioner's deficiency determination was incorrect.

(2) The Commissioner also determined that Ps' underpayment of tax was caused by negligence or intentional disregard of the rules and regulations for reporting income. Sec. 6653(a), I.R.C. 1954. Held, the Commissioner's determination is sustained.

William R. Dixon, pro se.
Charles W. Jeglikowski, for the respondent.

SIMPSON

MEMORANDUM FINDINGS OF FACT AND OPINION

SIMPSON, Judge: The Commissioner determined a deficiency of $2,652.83 in the petitioners' Federal income tax for 1972 and an addition to tax of $132.64 under section 6653(a) of the Internal Revenue Code of 1954. 1 The issues for decision are: (1) Whether certain bank deposits by the petitioners in 1972 represent unreported income in that year; and (2) whether any part of the underpayment of their tax was due to negligence or intentional disregard of rules and regulations*415 within the meaning of section 6653(a).

FINDINGS OF FACT

Some of the facts have been stipulated, and those facts are so found.

The petitioners, William R. Dixon and Yvonne Dixon, husband and wife, resided in Whittier, Calif., at the time they filed their petition in this case. They filed their joint Federal income tax return for 1972 with the Internal Revenue Service Center, Fresno, Calif. Mr. Dixon will sometimes be referred to as the petitioner.

In the latter part of 1971, the petitioner moved to California. He began to attend a junior college there and was a full-time student through June 1972. Prior to moving to California, the petitioner worked for Trans World Airlines (TWA) as a ground service agent in Louisville, Ky. From January 1972 to June 1972, he used the severance pay from TWA to support himself.

In the early part of 1972, the petitioner agreed with his brother, Joseph D. Dixon, that he would work in his brother's gambling business for 25 percent of the net proceeds of the business. In June 1972, the petitioner commenced such work by answering*416 telephones and doing other things his brother requested. However, the Federal Government terminated the operation of such business in November 1972 and confiscated its money and records. On February 4, 1974, the petitioner pled guilty to, and was convicted of, the offense of conducting a gambling business "which gambling business had gross revenue in excess of $2,000.00 on October 21, 1972, and other days * * *." Also, on February 4, 1974, Joseph Dixon pled guilty to, and was convicted of, the offense of failing to "disclose or reflect substantial amounts of money received by him in connection with his operation of a gambling business" on his Federal income tax return for 1970. Joseph Dixon was also assessed additional taxes arising from income from his gambling operation in 1972.

On or about June 8, 1972, the petitioners opened checking account number XX-XXX8-890 at the Los Nietos branch of the Golden State Bank of California (Golden State Bank). The following deposits were made to this account by the petitioners during 1972:

DateAmount
June 8 $ 151.75
June 8300.00
June 21500.00
July 12500.00
July 1880.64
Aug. 2736.00
Aug. 7400.00
Aug. 1560.00
Aug. 16500.00
Aug. 28200.00
Aug. 30250.00
Sept. 18500.00
Sept. 2617.26
Oct. 3400.00
Oct. 5646.00
Oct. 13100.00
Oct. 16450.00
Oct. 23

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Dixon v. Commissioner, 1979 T.C. Memo. 111, 38 T.C.M. 515, 1979 Tax Ct. Memo LEXIS 414 (tax 1979).

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