Graf v. Commissioner

1983 T.C. Memo. 346, 46 T.C.M. 450, 1983 Tax Ct. Memo LEXIS 447
Procedural entryThis page is a short order in Graf v. Commissioner. Read the opinion of the Court — 80 T.C. 944
United States Tax Court·Decided June 13, 1983·No. Docket No. 5009-81.·Unpublished

Opinion

MARC W. GRAF, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Graf v. Commissioner
Docket No. 5009-81.
United States Tax Court
T.C. Memo 1983-346; 1983 Tax Ct. Memo LEXIS 447; 46 T.C.M. (CCH) 450; T.C.M. (RIA) 83346;
June 13, 1983.
Marc W. Graf, pro se.
Ellen T. Friberg, for the respondent.

SHIELDS

MEMORANDUM FINDINGS OF FACT AND OPINION

SHIELDS, Judge: Respondent determined the following deficiencies in petitioner's Federal income tax for calendar years 1976, 1977 and 1978 as follows:

Additions to the Tax
YearDeficiencySec.6651(a) 1Sec.6653 (a)Sec.6654
1976$1,780.45$445.11$89.02$66.32
19771,826.50456.6391.3364.98
19782,243.75560.94112.1971.64

The issues for our decision are: (1) whether petitioner is relieved from income tax liability because of his association with Life Science Church, Chapter*449 11004, and (2) whether petitioner is liable for additions to tax under section 6651(a)(1), section 6653(a) and section 6654.

FINDINGS OF FACT

Some of the facts have been stipulated, and those facts are so found.

The petitioner, Marc W. Graf, resided in Wisconsin at the time he filed the petition in this case. During the years in issue, his family consisted of himself, his wife, and two minor children. He was a licensed chiropractor, offering chiropractic services at the Graf Chiropractic Clinic.

For 1976, Mr. Graf filed an individual Form 1040 with the Internal Revenue Service Center at Kansas City, Missouri. The form contained his name and address, but it was neither signed nor dated. On the form was the statement, "This document consists of Form 1040, United States Constitution and 26 pages of Schedule 'Z'." No entries were made on the Form 1040 for income, deductions, computations, or exemptions. the attached Schedule "Z" listed line by line various constitutional objections to completing each entry on the Form 1040. It also included quotations from several cases.

By letter dated May 5, 1977, the Director of the Service Center informed petitioner that the Form*450 1040 he had submitted was not acceptable as an income tax return for 1976.The Director enclosed with his letter a statement of the filing requirements and the additions provided by the Internal Revenue Code for failing to file an income tax return. He also enclosed blank Forms 1040 for 1976.

For 1977, Mr. Graf filed a Form 1040 similar to the one he had submitted for 1976. As with 1976, the form disclosed no information regarding his income or deductions. It was again unsigned and undated. For 1977, however, he stated, "Object, 5th Amend. U.S.C." to each request for income information on the form.

The Director of the Service Center again informed petitioner, by letter dated April 20, 1978, that the Form 1040 which had been submitted for 1977, was not acceptable as an income tax return. Again, he advised petitioner of the filing requirements and additions for failure to timely file a return; and once again, he included blank Forms 1040 for 1977.

Petitioner did not file any Form 1040 for 1978.

In 1976, the petitioner took a "Vow of Poverty" under which he purportedly made an irrevocable gift of all his propertyn and income to the Life Science Church, Order of Almighty*451 God, Chapter 11004. However, petitioner retained legal title to his home and continued to live there with his wife and children during the years in issue. He also continued to use his car and other personal possessions as his own.

In his notice of deficiency the respondent determined that petitioner received net income from self-employment of $9,626 in 1976, $9,905 in 1977 and $11,108 in 1978. Respondent determined petitioner's income by reference to cost of living comparative indexes published by the Bureau of Labor Statistics for a family of four on a low budget.

The respondent determined that the petitioner failed to file timely returns for each of the years 1976, 1977 and 1978 and that such failure was not due to reasonable cause. He further determined that petitioner's underpayment of tax in each year was due to negligence or intentional disregard of rules and regulations. He also determined that petitioner failed to pay estimated tax. Accordingly, the respondent asserted additions to tax under section 6651(a)(1), section 6653(a) and section 6654 for all years in issue.

OPINION

Under section 61, gross income is defined to include compensation for services. Petitioner*452 is a chiropractor and was compensated for his services at the Graf Chiropractic Clinic. However, he contends that his chiropractic services were performed for the benefit of the Life Science Church. He argues that he is exempt from income taxation because he filed the vow of poverty with Chapter 11004 and gave everything he owned to that religious order.

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Graf v. Commissioner, 1983 T.C. Memo. 346, 46 T.C.M. 450, 1983 Tax Ct. Memo LEXIS 447 (tax 1983).

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