Hicks v. Commissioner

1957 T.C. Memo. 24, 16 T.C.M. 108, 1957 Tax Ct. Memo LEXIS 232
United States Tax Court·Decided January 31, 1957·No. Docket Nos. 53001-53003.·Unpublished·Cited by 3 cases

Opinion

Vonnie M. Hicks v. Commissioner. Vonnie M. Hicks and Jessie G. Hicks v. Commissioner.
Hicks v. Commissioner
Docket Nos. 53001-53003.
United States Tax Court
T.C. Memo 1957-24; 1957 Tax Ct. Memo LEXIS 232; 16 T.C.M. (CCH) 108; T.C.M. (RIA) 57024;
January 31, 1957
*232

1. The Commissioner determined the petitioner's net income by the net worth method for the years 1940 to 1949, inclusive, and by making specific adjustments to the reported income for the years 1950 and 1951. The petitioner contends that the net worth method should be used for all of the years because his books and records were inadequate and the change in method causes a distortion of income between years. Held, the Commissioner's method of determining income is reasonable and is upheld.

2. The petitioner contends that certain items in the net worth computation are incorrect. Held, that the Commissioner's determination as to cash on hand, liabilities, inventories, and living expenses is erroneous and subject to adjustment and adjustments are made herein, but no credit should be given to petitioner for income belonging to him and derived from his assets although reported by his wife on a separate return.

3. The Commissioner increased the petitioner's professional income for 1950 and 1951, and determined that certain other amounts received in 1950 were compensation for services rendered. Held, that increases in professional income are approved subject to certain adjustments but that *233other amounts received in 1950 were loans subject to an indemnification agreement and not income.

4. The Commissioner disallowed petitioner's son as a dependency exemption for several of the years here involved on the ground that the petitioner did not furnish over one-half of his support and also disallowed (son's) wife as a dependent during 1946 on the ground that she filed a joint return with the son. Held, that the Commissioner's action in disallowing these exemptions was proper under the facts and he is sustained.

5. Held, that petitioner fraudulently failed to report part of his professional income for the years 1947, 1948, 1949, 1950, and 1951, and that a part of the deficiencies for each of those years was due to fraud with intent to evade the tax. Held, further, that the Commissioner has not sustained his burden of proof as to fraud for the taxable years 1940 to 1946 and his additions to the tax for those years under section 293(b), Internal Revenue Code of 1939, are not sustained.

6. Statute of limitations. - The petitioner has pleaded the statute of limitations as a bar to the assessment and collection of the deficiencies for all of the years 1940 to 1948, inclusive. He *234concedes that the statute of limitations does not bar the years 1949, 1950, and 1951. Held, the Commissioner has not sustained his burden of proof that petitioner's returns for 1940 to 1946, inclusive, were false and fraudulent with intent to evade taxes, and the deficiencies for those years are barred by the statute of limitations. Held, further, petitioner's returns for 1947 and 1948 were false and fraudulent with intent to evade taxes and the assessment and collection of the deficiencies for those years are not barred by the statute of limitations.

7. Estimated tax. - Held, additions provided for in section 294(d)(1)(A) and section 294(d)(2), Internal Revenue Code of 1939, are sustained.

8. Self-employment tax. - Held, that petitioner had self-employment income and is liable for self-employment tax provided in section 480, Internal Revenue Code of 1939.

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Hicks v. Commissioner, 1957 T.C. Memo. 24, 16 T.C.M. 108, 1957 Tax Ct. Memo LEXIS 232 (tax 1957).

1957 T.C. Memo. 24 (Hicks v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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