Feldman v. Commissioner

1984 T.C. Memo. 420, 48 T.C.M. 792, 1984 Tax Ct. Memo LEXIS 253
CourtUnited States Tax Court
DecidedAugust 7, 1984
DocketDocket Nos. 27771-81, 28256-81.
StatusUnpublished

This text of 1984 T.C. Memo. 420 (Feldman 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
Feldman v. Commissioner, 1984 T.C. Memo. 420, 48 T.C.M. 792, 1984 Tax Ct. Memo LEXIS 253 (tax 1984).

Opinion

SEYMOUR C. FELDMAN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Feldman v. Commissioner
Docket Nos. 27771-81, 28256-81.
United States Tax Court
T.C. Memo 1984-420; 1984 Tax Ct. Memo LEXIS 253; 48 T.C.M. (CCH) 792; T.C.M. (RIA) 84420;
August 7, 1984.
Seymour C. Feldman, pro se. Christopher B. Sterner, for the respondent.

HAMBLEN

MEMORANDUM FINDINGS OF FACT AND OPINION

HAMBLEN, Judge: Respondent determined deficiencies in petitioner's Federal income taxes and imposed additions to tax under section 6653(b) 1 as follows:

Additions to Tax 2
YearDeficiencySec. 6653(b)
1975$23,050.95$17,098.85
197618,484.179,242.09
1977782.00391.00

*255 The issues for decision are (1) whether petitioner has unreported income in the amounts determined by respondent for the years at issue; (2) whether petitioner is entitled to deductions in excess of the amount allowed by respondent; (3) whether certain salary payments received by petitioner in taxable year 1975 may be deducted from gross income; (4) whether certain pension payments received by petitioner in taxable year 1977 may be excluded from gross income; and (5) whether any part of the underpayment for each of the years at issue was due to fraud.

FINDINGS OF FACT

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

Petitioner residen in Beacon, New York, when he and his wife Evelyn Feldman 3 filed joint Federal income tax returns for taxable years 1975 and 1976. Petitioner also resided in Beacon, New York, when he filed his individual Federal income tax return for taxable year 1977 and when he filed his petitions in these cases. 4

*256 Petitioner was a practicing medical doctor during the years at issue and reported gross receipts from his private medical practice in the amounts of $35,416.00, $20,000.00, and $22,000.00 for taxable calendar years 1975, 1976, and 1977, respectively. Respondent determined that the gross receipts reported by petitioner from his private medical practice were in error and recomputed the total gross receipts as $66,128.53, $43,601.79, and $32,430.92 for 1975, 1976, and 1977, respectively.

Petitioner did not submit complete and adequate books and records to respondent in connection with the audit of his Federal income tax returns for the years at issue. Consequently, respondent recomputed petitioner's gross receipts from his private medical practice using the bank deposits method.

Petitioner concedes that the gross receipts from his private medical practice were understated for the years at issue. However, he maintains that the corrected amounts should be $64,187.00, $35,440.00, and $24,894.00 for 1975, 1976, and 1977, respectively. Petitioner offered no explanation for the discrepancies between his gross receipts as reported on his Federal income tax returns and as recomputed*257 by him. Petitioner also concedes that he substantially understated his Federal income tax liabilities in 1967 through 1972.

In addition to recomputing petitioner's gross receipts from his private medical practice, respondent disallowed certain deductions petitioner claimed as relating to that practice and certain itemized deductions claimed by petitioner for the years at issue. Respondent also determined that petitioner failed to report interest income in 1975 and 1976 and disallowed an adjustment to gross income for salary payments in 1975 and an exclusion from gross income for pension payments in 1977. 5 Petitioner asserts that some of respondent's adjustments are in error and further maintains that he is entitled to additional deductions and adjustments to income not claimed on the Federal income tax returns for the years at issue. 6

*258 Finally, respondent determined that petitioner was liable for the additions to tax for fraud under section 6653(b) for each of the years at issue.

OPINION

We must first consider petitioner's claim that respondent's determinations of his gross receipts from his private medical practice for the years before us are in error. A taxpayer is required to maintain records sufficient to show whether or not he is liable for Federal income taxes.Sec. 6001. Where a taxpayer fails to maintain adequate records, the Commissioner may use other means to determine his income. Sec. 446(b). The bank deposits method has long been sanctioned by this Court and others as an acceptable method of computing income. Estate of Mason v. Commissioner,

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1984 T.C. Memo. 420, 48 T.C.M. 792, 1984 Tax Ct. Memo LEXIS 253, Counsel Stack Legal Research, https://law.counselstack.com/opinion/feldman-v-commissioner-tax-1984.