Harris v. Commissioner

1983 T.C. Memo. 544, 46 T.C.M. 1298, 1983 Tax Ct. Memo LEXIS 243
United States Tax Court·Decided September 6, 1983·No. Docket No. 30022-81·Unpublished

Opinion

JAMES R. HARRIS and MARY E. HARRIS, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Harris v. Commissioner
Docket No. 30022-81
United States Tax Court
T.C. Memo 1983-544; 1983 Tax Ct. Memo LEXIS 243; 46 T.C.M. (CCH) 1298; T.C.M. (RIA) 83544;
September 6, 1983.
*243

Petitioners failed to file income tax returns for 1975, 1976, and 1977, and failed to appear for trial. Respondent's motion for judgment on the underlying deficiency and for the addition to tax under sec. 6654 for failure to properly prosecute, GRANTED. Respondent's motion under Rule 91(f) that facts stated in proposed stipulation of facts be deemed admitted, GRANTED.

Held: Evidence was sufficient to prove that underpayment of tax was due to fraud. Addition to tax for fraud approved.

Cynthia J. Olson, for the respondent.

DRENNEN

MEMORANDUM FINDINGS OF FACT AND OPINION

DRENNEN, Judge: Respondent determined deficiencies in petitioners' income tax and additions to tax as follows:

James R. HarrisAdditions to Tax
Tax YearDeficiencySec. 6653(b)Sec. 6654
1975$29,296$14,648
1976$33,039$16,520$1,230
1977$49,807$24,904$1,772
Mary E. Harris 1
1975$32,788$16,394
1976$36,680$18,340$1,367
1977$48,504$24,252$1,726

At the time the petition in this case was filed petitioners, James R. Harris and Mary E. Harris, husband and wife, resided in Apple Valley, California.

Petitioners did not file income tax returns *244for 1975, 1976 or 1977. 2

A notice setting this case for trial in Denver, Colorado on May 9, 1983, was served on the parties February 8, 1983. The notice stated that the parties were expected to be present at that time and that "your failure to appear may result in dismissal of the case and entry of decision against you." The notice also advised the parties they were expected to stipulate undisputed facts before trial and "your failure to cooperate may result in dismissal of the case and entry of decision against you."

When this case was called for trial in Denver, Colorado, petitioners did not appear and no appearance was made in their behalf. Petitioners had filed a response to the notice of hearing wherein they stated that they would rely on their "Request for Remand and Summary Dismissal," which the Court had previously denied for reasons appearing in the transcript. Respondent thereupon moved for judgment on the underlying deficiency *245and on the addition to tax under section 6654 for failure of petitioners to properly prosecute and produce evidence. Since petitioners had the burden of proof on both of these issues and produced no evidence, this motion was granted. Doncaster v. Commissioner,77 T.C. 334, 336 (1981). Thus, the only issue remaining for decision is whether petitioners are liable for the addition to tax for fraud under section 6653(b). 3

Respondent has the burden of proof on the fraud issue. Rule 142(b). 4 In support of that burden respondent moved, pursuant to Rule 91(f)(3), that the matters set forth in his proposed stipulation of facts, which had been submitted to petitioners, be deemed admitted. 5 Respondent offered evidence that he had repeatedly attempted to confer with petitioners prior to trial to obtain a stipulation of facts, without success, and that he had forwarded his proposed stipulation of facts to petitioners on several occasions but they had failed to agree to it. In a belated written response to the Court's order to show cause why respondent's motion should not be granted, petitioners simply challenged *246the jurisdiction of the Tax Court to decide this case without a jury. This argument has been denied many times by many Courts. See Swanson v. Commissioner,

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Harris v. Commissioner, 1983 T.C. Memo. 544, 46 T.C.M. 1298, 1983 Tax Ct. Memo LEXIS 243 (tax 1983).

1983 T.C. Memo. 544 (Harris v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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