Goe v. Commissioner

10 T.C.M. 307, 1951 Tax Ct. Memo LEXIS 270
CourtUnited States Tax Court
DecidedApril 4, 1951
DocketDocket No. 20486.
StatusUnpublished

This text of 10 T.C.M. 307 (Goe 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
Goe v. Commissioner, 10 T.C.M. 307, 1951 Tax Ct. Memo LEXIS 270 (tax 1951).

Opinion

Grover Glen Goe v. Commissioner.
Goe v. Commissioner
Docket No. 20486.
United States Tax Court
1951 Tax Ct. Memo LEXIS 270; 10 T.C.M. (CCH) 307; T.C.M. (RIA) 51096;
April 4, 1951
R. J. Cleary, Esq., Farmers Bank Bldg., Pittsburgh, Pa., for the petitioner. A. W. Dickinson, Esq., for the respondent.

DISNEY

Memorandum Findings of Fact and Opinion

DISNEY, Judge: This case involves deficiencies in income taxes and fraud penalties for the years 1937 to 1945, inclusive, as follows:

YearDeficiencyPenalty
1937$1,187.94$ 596.89
19381,453.25728.24
1939859.95436.83
19402,508.801,296.02
19414,792.762,396.38
19422,935.401,467.70
1943 *2,381.11850.21
19444,509.792,254.90
19458,229.544,114.77
Totals$28,858.54$14,141.94
*271

The issues are (1) whether respondent erred in including in gross income each year certain amounts which he determined as "other income"; (2) whether petitioner is entitled to personal exemptions disallowed by respondent each year; (3) whether a loss was sustained in 1945 on certain stock; (4) whether any part of the deficiency determined each year is due to fraud with intent to evade tax; and (5) whether assessment of the deficiencies for the years 1937 to 1942, inclusive, is barred by the statute of limitations. The returns of petitioner for the taxable years were filed with the collector for the twenty-third district of Pennsylvania.

Findings of Fact

The facts set forth in a stipulation are found as therein agreed to.

Petitioner, a resident of Pittsburgh, Pennsylvania, was an employee of the National Tube Company, Pittsburgh, Pennsylvania, continuously from 1913 to 1945, inclusive. Until 1921 he was a buyer of supplies at annual salaries, payable semimonthly, ranging from $1,430 to $4,332 and thereafter, until 1925, chief clerk at yearly salaries ranging from $4,332 to $7,200, and since 1925, purchasing agent at annual salaries ranging from*272 $8,600 to $13,200, payable monthly. The total salary paid to 1937 was $155,463. In addition thereto petitioner received bonuses of the total amount of $7,733. The total gross salary paid to him thereafter through 1945 was $108,333 and the net, after deductions including $6,398 for income taxes and $1,500 for Government bonds, was $98,027.08.

Petitioner maintained a checking account in the South Side Trust Co., Pittsburgh, Pennsylvania, from 1912 until November 1, 1932. From August 15, 1913, to November 1, 1932, petitioner received pay checks from the National Tube Co. aggregating in amount $114,531.54, of which he deposited $68,566.14 in the checking account. He has no records of his withdrawals, including cash, from the account. In 1924 and 1926 petitioner deposited in the account $2,738.34 and $4,750, respectively, as proceeds of sales of real property.

Petitioner opened on February 14, 1929, and maintained until September 19, 1931, a checking account in the Bank of Pittsburgh N.A. During 1929, 1930, and 1931 petitioner withdrew from the account the total amount of $2,895 for cash, $3,851.77 to pay interest, $25,499.97 for investment purposes, $15,000 to repay loans, $900 to*273 loan, $1,056.75 to pay club expenses and $971.60 to pay miscellaneous charges. Petitioner maintained no record of what he did with the cash withdrawals. The $15,000 payment was paid in 1931 and represented the balance due on a bank loan made by petitioner in 1929 in the amount of $22,500 or $27,500.

Petitioner maintained a checking account in the Union Trust Co., Pittsburgh, Pennsylvania, from 1931 to 1945, inclusive. From July 1932 until the close of 1936 he deposited in the account a total of $14,974.77. During the years 1937 to 1945, inclusive, petitioner deposited the following aggregate amounts, including currency, in the account:

Number ofTotal
Totaldeposits ofdeposits of
Yeardepositscurrencycurrency
1937$ 32,808.185$ 8,490.00
1938

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Bluebook (online)
10 T.C.M. 307, 1951 Tax Ct. Memo LEXIS 270, Counsel Stack Legal Research, https://law.counselstack.com/opinion/goe-v-commissioner-tax-1951.