Hintenberger v. Commissioner

1990 T.C. Memo. 36, 58 T.C.M. 1253, 1990 Tax Ct. Memo LEXIS 36
CourtUnited States Tax Court
DecidedJanuary 22, 1990
DocketDocket No. 29968-87
StatusUnpublished

This text of 1990 T.C. Memo. 36 (Hintenberger v. Commissioner) is published on Counsel Stack Legal Research, covering United States Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Hintenberger v. Commissioner, 1990 T.C. Memo. 36, 58 T.C.M. 1253, 1990 Tax Ct. Memo LEXIS 36 (tax 1990).

Opinion

GEORGE J. HINTENBERGER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Hintenberger v. Commissioner
Docket No. 29968-87
United States Tax Court
T.C. Memo 1990-36; 1990 Tax Ct. Memo LEXIS 36; 58 T.C.M. (CCH) 1253; T.C.M. (RIA) 90036;
January 22, 1990
George J. Hintenberger, pro se.
Steve Johnson and Howard P. Levine, for the respondent.

SHIELDS

MEMORANDUM FINDINGS OF FACT AND OPINION

SHIELDS, Judge: In a notice of deficiency dated June 5, 1987, respondent determined a deficiency in and additions to petitioner's Federal income tax for 1983 as follows:

Additions to Tax under Sections 1
Deficiency6651(a)(1)6653(a)(1)6653(a)(2)6654(a)
$ 4,104.00$ 623.50 2$205.20*$ 127.96

*39 By order dated October 28, 1988, we granted respondent's motion under Rule 91(f) that the facts set forth in respondent's proposed stipulation of facts be deemed established for the purposes of this case. At the conclusion of the trial we granted respondent's motion to conform the pleadings to the proof so as to reflect petitioner's filing status as a married person filing separately and respondent's concession that petitioner is entitled to dependency exemptions for himself, his wife, and two sons, Fred and George.

The issues remaining for decision are whether for income tax purposes petitioner in 1983: (1) is entitled to compute his tax liability as the head of a household; (2) is entitled to three additional dependency exemptions; (3) is liable for the addition to tax under section 6651(a)(1) for failing to file a timely income tax return; (4) is liable for the additions to tax under sections 6653(a)(1) and 6653(a)(2) for negligence or intentional disregard of rules and regulations; (5) is liable for the addition to tax under section 6654(a) for failing to make estimated tax payments; (6) is not liable for any tax or additions to tax because an assessment for 1983 is barred*40 by the statute of limitations; and (7) is liable for damages under section 6673 for instituting or maintaining in this Court a proceeding primarily for delay, or in which his position is frivolous or groundless. Since all of the issues are primarily factual in nature we have combined our findings of fact and opinion.

At the time he filed his petition petitioner was a resident of Florida. During 1983 he resided with his wife and two sons, Fred and George, in St. Petersburg, Florida. At trial petitioner testified that in June of 1983 Hai Vu and his wife, Kim Vu, and their minor son, Ngoc Vu, moved from France to St. Petersburg and resided with petitioner and his family for the remainder of the year. Petitioner also testified that Hai Vu is the son of petitioner's wife by a previous marriage and that Mr. & Mrs. Vu are natives of Vietnam.

During 1983 petitioner was employed for about 50 weeks as a civil engineer by the City of South Pasadena, Florida, and at the end of the year received from the city a Form W-2 reflecting gross wages of $ 23,084.60, Federal income tax withheld of $ 1,610.70, and social security taxes withheld of $ 1,546.70. During 1983 petitioner also received*41 interest from the Glendale Federal Savings and Loan Association and Home Federal Bank of Florida (now the Barnett Bank) in the respective amounts of $ 474 and $ 57.

1. Documents Filed and Filing Status.

On or about April 9, 1984, petitioner filed a document with the Internal Revenue Service Center at Philadelphia, Pennsylvania, which he claims to be his Federal income tax return for 1983. The document is entitled "Form 1040 - U.S. Individual Income Tax Return - 1983." However, the document contains only petitioner's name, occupation and social security number, an address in Bangkok, Thailand, and the statement "Refuse to answer on my 5th Amendment right." The document does not reflect petitioner's filing status, the number and names of the individuals for whom he claims dependency exemptions, or petitioner's income, adjustments to income, adjusted gross income, tax computation, tax credits, other taxes, tax payments and refund information. With the exception of the blanks for signatures on page two in all other blanks throughout the document there is written "RTAOM 5th AR," which apparently is an abbreviated form of petitioner's claim under the Fifth Amendment. The signature*42 blanks on page two of the document contain what purports to be the signatures of petitioner and his wife. When filed with respondent's Service Center, the document was accompanied by postal money orders made payable by petitioner to respondent for $ 503.30 and by a copy of the Form W-2 received by petitioner from the City of South Pasadena. It was not accompanied by Forms 1099 or any other document reflecting the interest income received by petitioner in 1983.

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Bluebook (online)
1990 T.C. Memo. 36, 58 T.C.M. 1253, 1990 Tax Ct. Memo LEXIS 36, Counsel Stack Legal Research, https://law.counselstack.com/opinion/hintenberger-v-commissioner-tax-1990.