Holman v. Commissioner

1984 T.C. Memo. 169, 47 T.C.M. 1437, 1984 Tax Ct. Memo LEXIS 506
CourtUnited States Tax Court
DecidedApril 3, 1984
DocketDocket Nos. 6493-79, 6058-80.
StatusUnpublished

This text of 1984 T.C. Memo. 169 (Holman 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
Holman v. Commissioner, 1984 T.C. Memo. 169, 47 T.C.M. 1437, 1984 Tax Ct. Memo LEXIS 506 (tax 1984).

Opinion

BRUCE HOLMAN AND AUDREY B. HOLMAN, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent; BRUCE HOLMAN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Holman v. Commissioner
Docket Nos. 6493-79, 6058-80.
United States Tax Court
T.C. Memo 1984-169; 1984 Tax Ct. Memo LEXIS 506; 47 T.C.M. (CCH) 1437; T.C.M. (RIA) 84169;
April 3, 1984.
Bruce Holman an Audrey B. Holman, Pro se.
Michael J. Cooper, for the respondent.

COHEN

MEMORANDUM FINDINGS OF FACT AND OPINION

COHEN, Judge: Respondent determined deficiencies in and additions to petitioners' Federal income taxes as follows:

Additions to Tax
Docket No.YearDeficiencySec. 6651(a)Sec. 6653(a)Sec. 6654 1
6493-791975$26,379$1,319
6058-80197632,985$8,2461,649$1,231

Petitioners contend that their income, including certain payments for services performed by petitioner Bruce Holman (petitioner), was properly reported by a so-called family estate trust; *507 that if the income is determined to be that of petitioners rather than the trust, petitioners are entitled to additional deductions previously claimed by the trust; and that petitioners are not liable for the additions to tax determined by respondent. On brief they assert various constitutional challenges to the income tax.

FINDINGS OF FACT

Petitioners were residents of Colorado at the time that they filed their petitions in these concolidated cases.

Petitioner is an orthodonist and, during the years in issue, was associated with the Cody Dental Group, a professional corporation, as a shareholder.

On January 29, 1973, using materials purchased from Educational Scientific Publishers, petitioners established the Bruce Holman Family Trust (the trust). Petitioners, along with the mother of petitioner Bruce Holman, were names as original trustees. During the years in issue, petitioners were the sole trustees. On or about January 30, 1973, petitioner purportedly transferred all of their assets, including the services of Dr. Holman and all of the earnings resulting from those services, to the trust. In March 1973, units of beneficial interest in the trust were purportedly transferred*508 to the four children of petitioners and to Bruce Holman Education and Research Trust, with some units being retained by petitioners. Both before and after creation of the trust, petitioners made whatever decisions were necessary with regard to their business, personal, and household affairs.

The trust filed Forms 1041, U.S. Fiduciary Income Tax Returns, for the years 1973, 1974, 1975, and 1976. Those returns reported certain income, including income paid by the Cody Dental Group to the trust for services performed by Dr. Holman; claimed various deductions, including amounts paid to petitioners and/or paid for expenses incurred by petitioners; and purported to distribute the net income to the beneficiaries of the trust.

In January 1974, prior to filing their individual tax returns for 1973, petitioners received a letter from the Internal Revenue Service advising them that the trust would be disregarded for Federal income tax purposes. Nonetheless, petitioners filed their joint individual income tax returns for the years 1973, 1974, and 1975 and reported only certain amounts received by them from the trust, including direct payments labeled "consulting fees" and their purported*509 distributive share of trust income. For each of the years, respondent determined petitioners' income by increasing their joint income for each year by the amount of income reported by the trust and reducing such income by the amounts reported by petitioners as trust distributions and payments from the trust. In the notices of deficiency, petitioners were allowed certain itemized deductions.

For the years 1973 and 1974, petitioners paid the amounts determined by respondent to be owing and filed a refund suit in the United States District Court for the District of Colorado, Civil Action No. 81-F-2057. On respondent's Motion for Summary Judgment, that action was decided adversely to petitioners [Holman v. United States, (D. Colo. March 22, 1983), 83-1 USTC par. 9295], and the decision of the district court was affirmed by the Court of Appeals for the Tenth Circuit,     F.2d     (10th Cir., Feb. 29, 1984) [84-1 USTC par. 9265]. The issues in dispute for the years 1973 and 1974 included issues in dispute in these proceedings with respect to the years 1975 and 1976.

For the year 1976, petitioner filed a Form 1040 that provided no information*510 from which his tax liability could be determined. Asterisks were inserted on every line calling for information concerning income, deductions, and tax computation. In the margins of the form and attached to the form were various tax protest statements asserting purported reliance on the Fifth Amendment

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Bluebook (online)
1984 T.C. Memo. 169, 47 T.C.M. 1437, 1984 Tax Ct. Memo LEXIS 506, Counsel Stack Legal Research, https://law.counselstack.com/opinion/holman-v-commissioner-tax-1984.