Gemma v. Commissioner

46 T.C. 821, 1966 U.S. Tax Ct. LEXIS 41
CourtUnited States Tax Court
DecidedSeptember 29, 1966
DocketDocket No. 91379
StatusPublished
Cited by65 cases

This text of 46 T.C. 821 (Gemma 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
Gemma v. Commissioner, 46 T.C. 821, 1966 U.S. Tax Ct. LEXIS 41 (tax 1966).

Opinion

BRUCE, Judge:

Respondent determined deficiencies in income tax, additions to tax provided by section 6653(b), I.R.C. 1954, for fraud, additions to tax under section 6654 thereof for failure to pay an estimated income tax for the calendar years 1955, 1956, and 1957, and an addition to tax under section 294(d) (1) (A), I.R.C. 1939, for failure to file a timely declaration of estimated tax for 1954, as follows:

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The issues for decision are whether the respondent’s reconstruction of Albert Gemma’s income for the taxable years is correct and whether the petitioners are liable for additions to tax for fraud for each of the taxable years.

undings or pact

The petitioners are husband and wife. They reside in Providence, R.I., and resided in that city in the calendar years 1946 through 1957. They did not file any Federal income tax returns for the years 1954 through 1957. Since the transactions involving the income herein were carried out by Albert Gemma, he will be referred to herein as the petitioner.

During the years 1954 through 1957 petitioner was self-employed as a builder and contractor.

The petitioners also did not file timely Federal income tax returns for any of the years 1946 through 1953. After an investigation by respondent’s agents the petitioners signed joint returns prepared by the agents, which returns were filed with the district director of internal revenue at Providence in May 1954. Additions to tax for delinquency and for failure to file declarations of estimated tax were assessed. The liabilities determined, plus interest, were paid, according to the district director’s records, at various times in 1954 and 1955 ending with April 18,1955, after liens had been filed.

In 1954 the respondent’s agents investigating the liabilities of the petitioners for income taxes for the years 1946 through 1953 found that Gemma’s records were inadequate for the preparation of income tax returns. The agents determined petitioners’ income for those years by the net worth method from public records and records of other parties. Gemma’s income in those years was derived principally from the construction business, including the sale of houses. The agents informed him of his obligations for filing returns and for keeping adequate books and records.

The returns for the years 1946 through 1953 prepared by respondent’s agents showed the following amounts of tax and additions to tax:

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The district director’s records as of September 14, 1959, showed no record of the filing of returns or declarations of estimated tax for the petitioners or either of them for 1954, 1955, 1956, 1957, or 1958. In October 1960 jeopardy assessments were made of deficiencies determined for 1954,1955,1956, and 1957.

Petitioner maintained no formal books of account for the years 1946 through 1957. For the years 1954 through 1957 there were no general journals or other books of original entry. His business records consisted of canceled checks, check stubs bearing some notations concerning the purpose of the checks, bills, and settlement records made in connection with the closing of sales of houses.

On January 1,1954, petitioner owned land, materials, and supplies having a cost basis as follows:

94 Bellevue Ave., North Providence_$8,000
Land- 23,435'
Materials and supplies_ 500
Total 31,935

In 1954 petitioner acquired four parcels of real property at a total cost of $44,543. In 1955 lie acquired two parcels at a cost of $7,850. In 1956 lie acquired two parcels at a cost of $7,468.87. In 1957 lie acquired one parcel at a cost of $17,350.

Petitioner is entitled to deductions for depreciation in ttie following amounts:

1954_$1, 449.45
1955_ 1, S39. 95
1956_ 1, 339.95
1957__ 1,130. 85

Petitioner acquired a tract of land at South. Attleboro, Mass., herein referred to as Oakland Plat, in April 1954, at a cost of $29,500 to be paid on a deferred basis as lots were sold. Petitioner made site improvements and subdivided the tract into 76 house lots.

Petitioner was the grantor of record of various parcels of real property located in Providence, North Providence, Johnston, or Warwick, R.I., or in Oakland Plat, during the taxable years 1954 through 1957. The sales of these parcels, referred to herein as documented sales, were in the following amounts:

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In connection with the documented sales petitioner took second mortgages on certain of the properties in amounts as follows:

Year Second, mortgages Amount
1954 1 $1,834
1955 5 13,200
1956 3 7,400
1957 5 14,200

The documented sales included contract work performed by petitioner on certain houses amounting to $6,000 in 1956 and $4,900 in 1957.

Petitioner maintained checking accounts with Citizens Trust Co., and Plantations Bank of Rhode Island, both in Providence, herein referred to as Citizens and Plantations, respectively. The total deposits to these accounts in the years 1954 through 1957 were in the following amounts:

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Norman Builders, Inc., was incorporated on May 26,1954, under the laws of Rhode Island. The stockholders were Norman A. Gauthier and Mary T. Gauthier, his wife. The corporation engaged in the construction of houses in Oakland Plat under arrangements with the petitioner. On June 6, 1957, the corporation was petitioned into receivership in the Superior Court for the County of Providence on grounds of insolvency. A final decree was entered in the receivership proceeding on June 25, 1958. The receivers, with approval of the Superior Court, sold the corporation’s interest in three unfinished houses in Oakland Plat to Albert Gemma for $2,000 on September 12,1957.

House Beautiful, Inc., was incorporated on May 7,1956, under the laws of Rhode Island. The stockholders were Frank F. Gallo and Antonio M. Lasini. Gemma was an officer for a short time. The corporation engaged in the construction of houses in Oakland Plat under arrangements with the petitioner. On July 19, 1957, this corporation was petitioned into receivership in the Superior Court for the County of Providence on grounds of insolvency.

The records of House Beautiful, Inc., showed sales of 14 houses for a total price of $165,150, and 4 houses unsold by October 1957, on which mortages amounting to $24,000 had been obtained. A total of $147,816.98 had been deposited to that corporation’s bank account. Of this, $6,247.17 was paid by checks to petitioner.

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Bluebook (online)
46 T.C. 821, 1966 U.S. Tax Ct. LEXIS 41, Counsel Stack Legal Research, https://law.counselstack.com/opinion/gemma-v-commissioner-tax-1966.