Hoover v. Comm'r

2006 T.C. Memo. 82, 91 T.C.M. 1053, 2006 Tax Ct. Memo LEXIS 85
CourtUnited States Tax Court
DecidedApril 24, 2006
DocketNos. 15557-99, 4590-00L
StatusUnpublished

This text of 2006 T.C. Memo. 82 (Hoover v. Comm'r) 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
Hoover v. Comm'r, 2006 T.C. Memo. 82, 91 T.C.M. 1053, 2006 Tax Ct. Memo LEXIS 85 (tax 2006).

Opinion

HARVEY L. HOOVER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Hoover v. Comm'r
Nos. 15557-99, 4590-00L
United States Tax Court
T.C. Memo 2006-82; 2006 Tax Ct. Memo LEXIS 85; 91 T.C.M. (CCH) 1053; RIA TM 56491;
April 24, 2006, Filed
Hoover v. United States, 6 Fed. Appx. 414, 2001 U.S. App. LEXIS 7781 (2001)
*85 Harvey L. Hoover, pro se.
Diane L. Worland, for respondent.
Ruwe, Robert P.

ROBERT P. RUWE

MEMORANDUM FINDINGS OF FACT AND OPINION

RUWE, Judge: These cases were consolidated for purposes of trial, briefing, and opinion. On August 20, 1999, respondent issued a notice of deficiency, which determined deficiencies and penalties with respect to petitioner's Federal income taxes as follows:

                            Penalty

   Year       Deficiency            Section 6663    ____       __________             ____________

   1989       $ 46,052              $ 34,539.00

   1990        38,577               28,932.75

   1991        52,452               39,339.00

   1992        23,427               17,570.25

The issue for 1989 is whether petitioner has placed respondent's deficiency determination in issue. If he has, the next issue is whether assessment of the deficiency determined for*86 1989 is barred by the statute of limitations.

After concessions by the parties, the issues for decision in docket No. 15557-99 with respect to 1990, 1991, and 1992 are: (1) Whether petitioner received and failed to report substantial amounts of farm income for 1990, 1991, and 1992; 1*87 (2) whether petitioner received and failed to report interest income of $ 3,069 in 1990, $ 3,153 in 1991, and $ 8,784 in 1992; (3) whether petitioner is entitled to claim a loss of $ 31,000 in 1991 from the sale of one of his farms; (4) whether petitioner had farm expenses in amounts greater than allowed by respondent; 2 (5) whether petitioner is liable for additions to tax for fraud pursuant to section 66633 for each of the years in issue; and (6) whether the assessments for 1990, 1991, and 1992 are barred by the statute of limitations.

After concessions by the parties, the issues for decision in docket No. 4590-00L are: (1) Whether respondent's Appeals officer abused his discretion in sustaining the collection action of filing a notice of Federal tax lien; and (2) whether respondent's Appeals officer abused his discretion in sustaining the collection action of issuance of a notice of jeopardy levy. 4

*88 FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts, the first, second, third, and fourth supplemental stipulations of facts, and the attached exhibits are incorporated herein by this reference. The stipulations of facts include transcripts and exhibits from petitioner's criminal prosecution, which commenced on March 16, 1998. The stipulations incorporate the trial testimony of the witnesses from the criminal prosecution as though it were given during the course of the trial in this Court.

The petition in docket No. 15557-99 was filed on September 28, 1999. The petition in docket No. 4590-00L was filed on April 25, 2000. When he filed the petitions in these cases, petitioner was incarcerated in a Federal penitentiary in Elkton, Ohio. Upon release from prison in 2002, petitioner resided in Wabash, Indiana.

Petitioner married Judith Ann Mosier on or about June 28, 1959. Michael Hoover and Tadd Hoover are two of the couple's children. Petitioner and Ms. Mosier divorced on July 25, 1990.

Farm Business

From the 1970s through 1992, farming was petitioner's primary source of income. Michael Hoover and Tadd Hoover worked for petitioner during*89 the years in issue.

Beginning in the late 1970s and continuing through 1992, petitioner's farming activities included a dairy herd operation. During the years at issue, petitioner's dairy herd consisted of approximately 60 cows, 30 heifers, and 17 calves. Petitioner sold all the milk produced by his dairy herd to Best Ever Dairy of Anderson, Indiana (Best Ever Dairy), from 1989 to 1992. 5

Before October 31, 1988, Best Ever Dairy issued one check made payable to petitioner for each milk purchase. By letter dated September 27, 1988, petitioner instructed Best Ever Dairy to issue two checks for each milk purchase. Petitioner directed Best Ever Dairy to issue one check payable to Michael Hoover in an amount equal to one-half of the amount due and a second check payable to petitioner for the balance. Best Ever Dairy complied with petitioner's instructions beginning with its payment made on October 31, 1988. Petitioner*90 did not give any of the milk proceeds to Michael Hoover.

After petitioner's September 27, 1988, letter, petitioner sent an undated letter to Best Ever Dairy that revised the payment method. Petitioner directed Best Ever Dairy to issue one check payable to petitioner in the amount of $ 10 and a second check payable to Tadd Hoover in an amount equal to the balance due.

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Hoover v. United States
6 F. App'x 414 (Seventh Circuit, 2001)

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Bluebook (online)
2006 T.C. Memo. 82, 91 T.C.M. 1053, 2006 Tax Ct. Memo LEXIS 85, Counsel Stack Legal Research, https://law.counselstack.com/opinion/hoover-v-commr-tax-2006.