Grossman v. Commissioner

1996 T.C. Memo. 452, 72 T.C.M. 845, 1996 Tax Ct. Memo LEXIS 473
United States Tax Court·Decided October 7, 1996·No. Docket Nos. 20526-90, 14364-91·Unpublished·Cited by 2 cases

Opinion

ROBERT D. GROSSMAN, JR., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Grossman v. Commissioner
Docket Nos. 20526-90, 14364-91
United States Tax Court
T.C. Memo 1996-452; 1996 Tax Ct. Memo LEXIS 473; 72 T.C.M. (CCH) 845; T.C.M. (RIA) 96452;
October 7, 1996, Filed
*473

Decisions will be entered under Rule 155.

P, a tax attorney, effectively controlled the daily operations of a group of closely held corporations (C). The corporations were owned by P's wife (W), W's mother, and W's brother. In 1983 through 1986, P and W took personal vacation trips, which P caused C to pay for. C's payments of the personal expenses of P and W were constructive dividends to W. P and W omitted to report these constructive dividends on their 1983 through 1986 joint tax returns. The notices of deficiency for 1983 through 1988 were sent to P and W more than 3 years after P and W filed their joint tax returns for 1983, 1984, and 1985. R contends that many of these omissions for 1983 through 1986 were due to P's fraud. P denies the omissions, denies fraud, and contends that, if there are deficiencies, then he is entitled to innocent spouse treatment for 1986.

1. Held: The statute of limitations does not bar the assessment and collection of tax for 1985, but is a bar as to 1983 and 1984. Sec. 6501(c)(1), I.R.C. 1954.

2. Held, further, P is liable for fraud additions to tax for 1985 and 1986. Sec. 6653(b)(1), I.R.C. 1954; sec. 6653(b)(1)(A), I.R.C. 1986.

3. Held, further, *474P is liable for additional additions to tax for 1985 and 1986 based on the portions of the deficiencies attributable to P's fraud; amounts determined. Sec. 6653(b)(2), I.R.C. 1954; sec. 6653(b)(1)(B), I.R.C. 1986.

4. Held, further, P is liable for negligence additions to tax based on the portion of the 1986 deficiency that is not attributable to fraud; amounts determined. Sec. 6653(a)(1), I.R.C. 1986.

5. Held, further, amounts of deficiencies redetermined.

6. Held, further, P is not entitled to innocent spouse treatment. Sec. 6013(e), I.R.C. 1986.

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Grossman v. Commissioner, 1996 T.C. Memo. 452, 72 T.C.M. 845, 1996 Tax Ct. Memo LEXIS 473 (tax 1996).

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