Evans v. Commissioner

1981 T.C. Memo. 580, 42 T.C.M. 1353, 1981 Tax Ct. Memo LEXIS 161
United States Tax Court·Decided October 5, 1981·No. Docket No. 19344-80.·Unpublished

Opinion

ROBERT S. EVANS AND ANNA EVANS, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Evans v. Commissioner
Docket No. 19344-80.
United States Tax Court
T.C. Memo 1981-580; 1981 Tax Ct. Memo LEXIS 161; 42 T.C.M. (CCH) 1353; T.C.M. (RIA) 81580;
October 5, 1981.
Robert S. Evans and Anna Evans, pro se.
Charles Williams and David W. Johnson, for the respondent.

DAWSON

MEMORANDUM OPINION

DAWSON, Judge: This case was assigned to Special Trial Judge Francis J. Cantrel for the purpose of conducting the hearing and ruling on respondent's motion to dismiss amended petition for failure to state a claim upon which relief can be granted filed herein. After a review of the record, we agree with and adopt his opinion which is set forth below. 1

OPINION OF THE SPECIAL TRIAL JUDGE

CANTREL, Special Trial*163 Judge: This case is before the Court on respondent's motion to dismiss amended petition for failure to state a claim upon which relief can be granted, filed on February 2, 1981, pursuant to Rule 40, Tax Court Rules of Practice and Procedure.2

Respondent, in a separate individual notice of deficiency issued to each petitioner on July 18, 1980, determined deficiencies in each petitioner's Federal income tax and additions to the tax for the taxable calendar years 1977 and 1978 in the following respective amounts:

Robert S. Evans
Additions to Tax, IRC 1954 3
YearIncome TaxSec.6651(a)Sec.6653(a)Sec.6654
1977$ 1,068.00$ 267.00$ 53.40$ 34.40
19781,514.00378.5075.7035.20
Anna Evans
Additions to Tax, IRC 1954
YearIncome TaxSec.6651(a)Sec.6653(a)Sec.6654
1977$ 1,068.00$ 267.00$ 53.40$ 34.40
19781,514.00378.5075.7035.20

Petitioners resided at 310 N. Loop, Houston, Texas, on the date*164 they filed their petition. They filed no Federal income tax returns with the Internal Revenue Service for the taxable calendar years 1977 and 1978.

The only income adjustments determined by respondent in his deficiency notices were for wages received in 1977 and 1978 from various employers in the respective amounts of $ 16,418.85 and $ 20,026.23, ostensibly by Robert S. Evans, none of which was reported as income. One-half of the foregoing amounts was taxed to each petitioner in his respective notice of deficiency. 4

The petition filed on October 10, 1980, while signed by petitioners, contained nothing but constitutional arguments. 5 The Court, by order dated October 23, 1980, directed petitioners to file a proper amended petition on or before December 23, 1980. On December 17, 1980, they filed an amended petition asserting further constitutional arguments, and they refused to sign it on constitutional grounds. On February 2, 1981, respondent filed his motion now under consideration. At the hearing on respondent's motion at Washington, D.C., on April 1, 1981, the Court, upon review of the record, feeling that petitioners may*165 wish to file a proper second amended petition properly contesting respondent's determinations, directed that they be given additional time to do so. An order was issued on April 1, 1981, giving petitioners until June 1, 1981, in which to file a proper second amended petition. 6 No such amended petition was filed.

Rule 34(b) provides in pertinent part that the petition in a deficiency action shall contain "clear and concise assignments of each and every error which the petitioner alleges to have been committed by the Commissioner in the determination of the defici

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Evans v. Commissioner, 1981 T.C. Memo. 580, 42 T.C.M. 1353, 1981 Tax Ct. Memo LEXIS 161 (tax 1981).

1981 T.C. Memo. 580 (Evans v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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