Ebeling v. Commissioner

1994 T.C. Memo. 277, 67 T.C.M. 3102, 1994 Tax Ct. Memo LEXIS 275
CourtUnited States Tax Court
DecidedJune 16, 1994
DocketDocket No. 26668-88
StatusUnpublished
Cited by1 cases

This text of 1994 T.C. Memo. 277 (Ebeling 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
Ebeling v. Commissioner, 1994 T.C. Memo. 277, 67 T.C.M. 3102, 1994 Tax Ct. Memo LEXIS 275 (tax 1994).

Opinion

MORRIS K. AND JUDITH S. EBELING, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Ebeling v. Commissioner
Docket No. 26668-88
United States Tax Court
T.C. Memo 1994-277; 1994 Tax Ct. Memo LEXIS 275; 67 T.C.M. (CCH) 3102;
June 16, 1994, Filed

*275 Decision will be entered under Rule 155.

Morris K. Ebeling, pro se.
For respondent: James B. Ausenbaugh.
FAY

FAY

MEMORANDUM OPINION

FAY, Judge: Respondent determined deficiencies in income tax due from petitioners for the 1981, 1982, and 1983 taxable years as follows:

Additions to Tax
Sec.Sec.Sec.Sec.
YearDeficiency6653(b) 6653(b)(1)6653(b)(2)6661
1981$ 231,833.94$ 115,916.97-- ---- 
1982214,789.33-- $ 107,394.671$ 53,697.33
1983206,298.62-- 103,149.31251,574.66

After concessions by the parties, the issues 1 remaining for decision are: *276

(1) Whether petitioner Judith S. Ebeling (petitioner) 2 intended to file joint returns for the 1981, 1982 and 1983 taxable years. We hold that she did.

(2) Whether petitioner is entitled to innocent spouse relief, pursuant to section 6013(e), for the years in issue. We hold that she is not.

Background

Some of the facts of this case have been stipulated, and by this reference they are so found. The stipulation of partial settlement and the stipulation of facts and attached exhibits thereto filed by the parties are incorporated herein by this reference.

Petitioner Morris K. Ebeling (Morris) resided at Federal Prison Camp, Boron, California, at the time the petition was filed. Petitioner resided at Sun Valley, Idaho, at the time the petition was filed.

Petitioner is a college graduate who majored in interior design and art history at Maryville College, in St. Louis, Missouri. Morris and petitioner were married in 1964 and were still married in July 1993, at the time of trial. Morris and petitioner had four children together during their marriage.

Petitioner was a housewife during the years at issue, but did not otherwise have *277 gainful employment through the years in issue. Petitioner was raised in a well-to-do family, was educated in private schools, and enjoyed an above-average standard of living while growing up.

Morris was a tax attorney formerly admitted to practice law in the State of Missouri. In 1986 Morris became the subject of a criminal tax investigation which resulted in a criminal conviction, after Morris entered a guilty plea, for four criminal tax violations. The parties agree that Morris is liable, inter alia, for the fraud addition to tax under section 6653(b) in the amount of 50 percent of the underpayment for 1981; that there is an addition to tax for fraud under section 6653(b)(1) in the amount of 50 percent of the underpayment for 1982 and 1983; and that there is an addition to tax for fraud pursuant to section 6653(b)(2) for 1982 and 1983 in the amount of 50 percent of the interest due on the tax attributable to the adjustments entitled Rocky Mountain Investments, Zion and Faith Associates, and International Manufacturing and Equipment. It is stipulated that petitioner is not liable for these additions to tax.

On May 22, 1981, Morris opened checking account No. XXX0659 at the Mercantile*278 Bank in Chesterfield, Missouri, under the name "International Manufacturing & Equipment Corp." (IME).

On November 6, 1981, pursuant to Missouri law, Morris formed Rocky Mountain Investment Properties, Inc. (RMIP). On November 12, 1981, RMIP opened a checking account, account No. XXXX63-01, at Clayton Metro Bank in Clayton, Missouri.

Morris was the only person authorized to draw checks on both the IME and RMIP checking accounts. During 1981, 1982, and 1983 Morris wrote checks from RMIP's checking account for his personal and family expenses in the amounts of $ >43,014, $ 153,367, and $ 172,501, respectively. Similarly, in 1981 and 1982 Morris wrote checks from IME's checking account for his personal and family expenses in the amounts of $ 36,617 and $ 39,304, respectively.

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1999 T.C. Memo. 426 (U.S. Tax Court, 1999)

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Bluebook (online)
1994 T.C. Memo. 277, 67 T.C.M. 3102, 1994 Tax Ct. Memo LEXIS 275, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ebeling-v-commissioner-tax-1994.