Hicks v. Commissioner

1979 T.C. Memo. 98, 38 T.C.M. 457, 1979 Tax Ct. Memo LEXIS 426
United States Tax Court·Decided March 20, 1979·No. Docket No. 1795-77.·Unpublished

Opinion

ALLEN G. HICKS and CLAUDETTE HICKS, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Hicks v. Commissioner
Docket No. 1795-77.
United States Tax Court
T.C. Memo 1979-98; 1979 Tax Ct. Memo LEXIS 426; 38 T.C.M. (CCH) 457; T.C.M. (RIA) 79098;
March 20, 1979, Filed
Allen G. Hicks, pro se.
David W. Johnson, for the respondent.

TANNENWALD

MEMORANDUM FINDINGS OF FACT AND OPINION

TANNENWALD, Judge: Respondent determined deficiencies in petitioners' 1974 income tax and additions*427 to tax as follows:

PetitionerDeficiencyAdditions to Tax
Allen G. Hicks$5,404.37Sec. 6653(b) 1 $2,702.19
Claudette Hicks4,361.57Sec. 6651(a) 406.02
Sec. 6653(a) 218.09

Petitioners' liability for payment of both the deficiencies and additions to tax determined by respondent is at issue. If we decide that petitioner Allen G. Hicks is not liable for the addition to tax for fraud under section 6653(b), we must then decide whether he is liable for additions to tax of $644.84 under section 6651(a) and $270.22 under section 6653(a).

FINDINGS OF FACT

Some of the facts, along with all the exhibits, were deemed stipulated pursuant to Rule 91(f), Tax Court Rules of Practice and Procedure, by our orders dated February 17, 1978, and February 27, 1978, upon petitioners' failure to show case why respondent's motion that certain facts and evidence be accepted as established should not be granted.

Petitioners Allen G. Hicks (Allen) and Claudette Hicks (Claudette), husband and wife, resided in Teague, Texas, at the time the*428 petition herein was filed and during the taxable year at issue. During 1974, Allen was a veterinarian operating a sole proprietorship under the name Freestone County Veterinary Hospital. Allen and Claudette each received taxable income of $16,075.18 in 1974, after all deductions and exemptions, consisting of the following items and amounts:

Gross receipts - Veterinary practice$71,889.05
Less: Operating Expenses
Depreciation $ 545.00
Taxes374.12
Rent1,477.97
Repairs1,069.29
Salary & Wages6,061.23
Legal & Professional Fees644.00
Utilities1,427.23
Miscellaneous767.32
Supplies & Drugs20,017.57
Laboratory Fees534.51
Total Operating Expenses32,918.24
Net Profit from Veterinary Practice$38,970.81
Interest Income (Credit Union)259.80
$39,230.61
Less:
Capital Loss $ 937.25
Partnership Loss1,062.19
Farm Loss1,580.80
3,580.24
$35,650.37
Less:
1/2 Share of Spouse based on
community property laws
of State of Texas17,825.18

Free access — add to your briefcase to read the full text and ask questions with AI

Hicks v. Commissioner, 1979 T.C. Memo. 98, 38 T.C.M. 457, 1979 Tax Ct. Memo LEXIS 426 (tax 1979).

1979 T.C. Memo. 98 (Hicks v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Brushaber v. Union Pacific Railroad
240 U.S. 1 (Supreme Court, 1916)
Welch v. Helvering
290 U.S. 111 (Supreme Court, 1933)
Spies v. United States
317 U.S. 492 (Supreme Court, 1943)
Commissioner v. Lane-Wells Co.
321 U.S. 219 (Supreme Court, 1944)
United States v. Pomponio
429 U.S. 10 (Supreme Court, 1976)
United States v. Arthur J. Porth
426 F.2d 519 (Tenth Circuit, 1970)
United States v. Jerome Daly
481 F.2d 28 (Eighth Circuit, 1973)
United States v. Marvin Morris Wangrud
533 F.2d 495 (Ninth Circuit, 1976)
United States v. Richard Lyle Kelley
539 F.2d 1199 (Ninth Circuit, 1976)
United States v. John J. Afflerbach
547 F.2d 522 (Tenth Circuit, 1977)
Acker v. Commissioner
26 T.C. 107 (U.S. Tax Court, 1956)
Barnsley v. Commissioner
31 T.C. 1260 (U.S. Tax Court, 1959)
Penn Mut. Indem. Co. v. Commissioner
32 T.C. 653 (U.S. Tax Court, 1959)
Estate of Scharf v. Commissioner
38 T.C. 15 (U.S. Tax Court, 1962)
Bixby v. Commissioner
58 T.C. 757 (U.S. Tax Court, 1972)
Gilday v. Commissioner
62 T.C. No. 30 (U.S. Tax Court, 1974)
Roberts v. Commissioner
62 T.C. No. 89 (U.S. Tax Court, 1974)