Fox v. Commissioner

1993 T.C. Memo. 277, 65 T.C.M. 3009, 1993 Tax Ct. Memo LEXIS 280
Procedural entryThis page is a short order in Fox v. Commissioner. Read the opinion of the Court — 71 T.C.M. 2195
United States Tax Court·Decided June 28, 1993·No. Docket No. 25480-91·Unpublished

Opinion

FREDERICK M. FOX, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Fox v. Commissioner
Docket No. 25480-91
United States Tax Court
T.C. Memo 1993-277; 1993 Tax Ct. Memo LEXIS 280; 65 T.C.M. (CCH) 3009;
June 28, 1993, Filed

*280 Decision will be entered for respondent.

Frederick M. Fox, pro se.
For respondent: Alice M. Harbutte.
RUWE

RUWE

MEMORANDUM OPINION

RUWE, Judge: Respondent determined a deficiency in petitioner's Federal income tax and additions to tax as follows:

Additions to Tax
YearDeficiencySec. 6651(a)(1)Sec. 6653(a)(1)Sec. 6654(a)
1988$ 39,658.08$ 9,914.52$ 1,982.90$ 2,530.90

The issues for decision are: (1) Whether the notice of deficiency issued to petitioner was valid; (2) whether petitioner is a "taxpayer" under section 7701(a)(14); 1 (3) whether income received by petitioner in 1988 was taxable; (4) whether petitioner is entitled to deductions for property taxes, interest expense, charitable contributions, union dues, tax preparation expenses, and "investment losses and fees"; and (5) whether petitioner is liable for the additions to tax determined by respondent.

*281 Some of the facts have been stipulated and are so found. The stipulation of facts and attached exhibits are incorporated herein by this reference. Petitioner resided 2 at San Juan Capistrano, California, when he filed his petition. During the taxable year 1988, petitioner was a pilot for American Airlines. For his services as a pilot during that year, petitioner received $ 143,585.05, as shown on his W-2 (Wage and Tax Statement). He also received: (1) Interest of $ 181 from the American Airlines Employees Credit Union; (2) dividend payments of $ 688 and capital gains of $ 150 from Merrill Lynch Financial Data Services; and (3) a tax refund of $ 32 from the State of California.

*282 Petitioner did not file a Federal income tax return for 1988. After receiving the notice of deficiency, issued by respondent on August 9, 1991, petitioner filed a timely petition with this Court.

Petitioner first argues that the notice of deficiency was invalid because no valid determination was made by respondent. Petitioner bases this argument on respondent's use of a substitute return. He also questions, in general, whether the Government's agents in his case were acting within their "delegated authority orders." 3

*283 A determination of a deficiency by the Commissioner must be based on information that relates to a particular taxpayer. Scar v. Commissioner, 814 F.2d 1363, 1368 (9th Cir. 1987), revg. 81 T.C. 855 (1983). Where the notice of deficiency does not reveal on its face that respondent failed to make a determination, then the burden is on petitioner to show that no such determination was made. Campbell v. Commissioner, 90 T.C. 110, 114 (1988).

In this case, the notice of deficiency clearly contains information particular to petitioner. It includes, among other indicative items, the exact wage figure, $ 143,585, contained on petitioner's W-2 for 1988, and the source of that income, American Airlines. It specifies the year and amount of deficiency. See Campbell v. Commissioner, supra at 115; Foster v. Commissioner, 80 T.C. 34, 229-230 (1983), affd. in part and vacated in part 756 F.2d 1430 (9th Cir. 1985).

Petitioner cites Abrams v. Commissioner, 787 F.2d 939, 941 (4th Cir. 1986),*284 affg. 84 T.C.

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Fox v. Commissioner, 1993 T.C. Memo. 277, 65 T.C.M. 3009, 1993 Tax Ct. Memo LEXIS 280 (tax 1993).

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