Johnson v. Commissioner

1983 T.C. Memo. 398, 46 T.C.M. 694, 1983 Tax Ct. Memo LEXIS 390
United States Tax Court·Decided July 12, 1983·No. Docket No. 10888-81·Unpublished·Cited by 3 cases

Opinion

JERRY C. JOHNSON, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent.
Johnson v. Commissioner
Docket No. 10888-81
United States Tax Court
T.C. Memo 1983-398; 1983 Tax Ct. Memo LEXIS 390; 46 T.C.M. (CCH) 694; T.C.M. (RIA) 83398;
July 12, 1983.
*390

1. Held: Amount of unreported income redetermined.

2. Held: Petitioner had self-employment income in 1978 which was subject to self-employment tax. Sec. 1401, I.R.C., 1954.

3. Held,further: Petitioner is liable for additions to tax under sections 6651(a)(1), 6653(a) and 6654, I.R.C., 1954, but is not liable for addition to tax under sec. 6651(a)(2), I.R.C., 1954.

Jerry C. Johnson, pro se Willard N. Timm, Jr. for the respondent.

DRENNEN

DRENNEN, Judge: Respondent determined deficiencies in and additions to tax in petitioner's 1978 Federal income tax as follows:

Additions to tax

1

DeficiencySec. 6651(a)(1)sec. 6651(a)(2)sec. 6653(a)sec.
6654(a)
$6,456.98$1,452.82$161.42$322.85$206.62

After concessions, the issues for decision are (1) whether petitioner had unreported income of $22,584 in 1978; (2) whether petitioner is subject to the self-employment tax under section 1401; and, (3) whether petitioner is liable for various additions to tax.

FINDINGS OF FACT

Some of the facts have been stipulated and are found accordingly. The stipulation of facts and the *391attached exhibits are incorporated herein by reference.

Petitioner Jerry C. Johnson resided in Union City, Ga., at the time the petition was filed herein. During 1978, petitioner was married and supported one child.

Petitioner filed with the Internal Revenue Service, Atlanta, Ga., a Form 1040, U.S. Individual Income Tax Return, for 1978, dated April 14, 1979. On the Form 1040, petitioner listed his name, address, social security number, his wife's name and social security number, and the amount of tax withheld from his wages ($473). Petitioner also checked the box indicating that he was married, filing a separate return. The remainder of the spaces in which an income or other figure was to be reported contained double asterisks. 2

Absent any records from petitioner, respondent determined petitioner's income by reference to a publication prepared by the U.S. Department of Labor, Bureau of Labor Statistics, entitled "A Guide to Living Costs." Specifically, respondent determined that petitioner had *392unreported income equal to the average total annual costs or expenditures incurred by a family of four living on a higher budget in Atlanta, Ga.

Prior to trial, petitioner produced Forms W-2 which showed that for 1978 he had total wages of $12,659.06, Federal income tax withheld of $628.10, and FICA withheld of $765.84. The above wages came from several different employers. During the first 3 months of 1978, petitioner was working as a commissioned salesman for Detroit AutomotivePurchasing Services (Detroit Automotive) and received $3,905 in wages. 3 Thereafter, petitioner quit his job at Detroit Automotive and went to school to learn how to become a welder. From July of 1978 to the end of 1978, petitioner worked as a welder with seven different employers and earned the rest of the wages reflected on the Forms W-2.

In years prior to 1978, petitioner derived self-employment income from a procelain repair business. For 1975, 1976, and 1977, petitioner *393reported income of $3,150, $6,914.14, and $822.93, respectively, from this business. 4 The record does not reveal t

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Johnson v. Commissioner, 1983 T.C. Memo. 398, 46 T.C.M. 694, 1983 Tax Ct. Memo LEXIS 390 (tax 1983).

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