Hodges v. Comm'r

2005 T.C. Memo. 168, 90 T.C.M. 23, 2005 Tax Ct. Memo LEXIS 169
United States Tax Court·Decided July 11, 2005·No. No. 8582-03 ·Unpublished

Opinion

GLENN S. HODGES, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Hodges v. Comm'r
No. 8582-03
United States Tax Court
T.C. Memo 2005-168; 2005 Tax Ct. Memo LEXIS 169; 90 T.C.M. (CCH) 23;
July 11, 2005, Filed

*169

P filed no income tax return for 2000, and R determined a deficiency in tax and additions to tax on account thereof. P disputes his obligation to file an income tax return and pay tax on constitutional grounds, disputes R's disallowance of basis in various securities sold by P, and challenges the additions to tax.

1. Held: P's claim that he has no obligation to file a tax return and pay tax is without merit.

2. Held, further, P has failed to prove that his basis in any of the securities is greater than zero.

3. Held, further, P is liable for an addition to tax under sec. 6651(a)(1), I.R.C., for failure to file a return.

4. Held, further, P is liable for an addition to tax under sec. 6654, I.R.C., for failure to pay estimated tax.

5. Held, further, P is penalized $ 15,000 under sec. 6673(a)(1), I.R.C., because his position in this proceeding is frivolous.

Glenn S. Hodges, pro se.
John W. Sheffield III, for respondent.
Halpern, James S.

JAMES S. HALPERN

*170 MEMORANDUM FINDINGS OF FACT AND OPINION

HALPERN, Judge: By notice of deficiency dated March 4, 2003, respondent determined a deficiency in petitioner's 2000 Federal income tax of $ 84,014 and additions to tax of $ 18,903, $ 7,561, and $ 4,519, under sections 6651(a)(1) and (2) and 6654(a), respectively. Petitioner assigns error to all of those determinations. By the answer, respondent concedes the addition to tax determined under section 6651(a)(2) and claims an increase in the addition to tax determined under section 6651(a)(1) of $ 2,100 (for a total addition under that section of $ 21,003). Taking into account certain concessions made by petitioner, the issues remaining for decision are (1) petitioner's constitutional challenge to the income tax, (2) petitioner's gain, if any, from certain sales of securities, (3) the additions to tax, and (4) our imposition of a penalty upon petitioner under section 6673.

Unless otherwise indicated, all section references are to the Internal Revenue Code of 1986, as amended, and all Rule references are to the Tax Court Rules of Practice and Procedure.

For convenience, monetary amounts have been rounded to the nearest dollar amount.

FINDINGS*171 OF FACT

Some facts are stipulated and are so found. The stipulation of facts, with accompanying exhibits, is incorporated herein by this reference. At the time he filed the petition, petitioner resided in Duluth, Georgia.

Petitioner did not file a Form 1040, U.S. Individual Income Tax Return (tax return), for 2000, nor did he file any tax return from 1996 through 2003. He did file tax returns from 1971 to 1995.

During 2000, petitioner received proceeds of $ 225,390 from the sale of securities (the securities) as follows:

Date
of SaleSecurity SoldProceeds
UnknownSBC Communications Inc.$43
02/04/00AT&T Corp.51,623
10/03/00Avaya Inc.32
02/01/00AT&T Corp.49,686
07/25/00AT&T Corp.31
12/28/00

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Hodges v. Comm'r, 2005 T.C. Memo. 168, 90 T.C.M. 23, 2005 Tax Ct. Memo LEXIS 169 (tax 2005).

2005 T.C. Memo. 168 (Hodges v. Comm'r) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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