Jones v. Commissioner

1977 T.C. Memo. 51, 36 T.C.M. 227, 1977 Tax Ct. Memo LEXIS 388
Procedural entryThis page is a short order in Jones v. Commissioner. Read the opinion of the Court — 64 T.C. 1066
United States Tax Court·Decided March 2, 1977·No. Docket No. 2543-75·Unpublished

Opinion

RONALD JONES and MARJORIE JONES, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Jones v. Commissioner
Docket No. 2543-75
United States Tax Court
T.C. Memo 1977-51; 1977 Tax Ct. Memo LEXIS 388; 36 T.C.M. (CCH) 227; T.C.M. (RIA) 770051;
March 2, 1977, Filed

*388 Held, the amount of income realized by petitioner, Ronald Jones upon the cashing of certain checks determined. Held, the amount of gain realized by petitioner Ronald Jones on the sale of his club determined. Held further, petitioner Marjorie Jones qualifies for relief of tax liability under sec. 6013(e).

Ronald Jones, pro se.
Joseph M. Abele and Stephen R. Takeuchi, for the respondent.

STERRETT

MEMORANDUM FINDINGS OF FACT AND OPINION

STERRETT, Judge: Respondent determined deficiencies in petitioners' Federal income taxes for the calendar years 1970 and 1971 as follows:

Addition to tax
YearDeficiencyunder Sec. 6653(a)
1970$32,803.41$1,640.17
19711,340.6167.03
The issues for*389 decision are: (1) whether petitioner, Ronald Jones, was the ultimate recipient of the proceeds of certain checks which would render such funds income to him; (2) whether petitioner realized a gain on the sale of the Greater Pittsburgh Sportsmen's Club; and (3) whether petitioner Marjorie Jones qualifies for relief of tax liability under section 6013(e).

Petitioners, Ronald and Marjorie Jones, husband and wife, resided in Beaver, Pennsylvania at the time they filed their petition herein. Petitioners filed joint Federal income tax returns with the internal revenue service, Mid-Atlantic Service Center, for the calendar years 1970 and 1971. Hereinafter petitioner will refer to Ronald Jones.

During the years in issue petitioner was employed by Scenery Farms, Inc., a wholesale egg business owned by one John Petrone (hereinafter Petrone). He further performed various duties for and was secretary-treasurer of the German American Association of Allegheny County (hereafter GAA) Petrone's after hours club located in Pittsburgh. As secretary-treasurer petitioner's signature, as well as that of Petrone, was required to negotiate all GAA checks.

The joint returns filed by petitioner*390 and Marjorie for the years in issue show the following items of income:

19701971
Wages$10,200.00$8,105.10
Dryfus Investment Dividends90.60145.49
Interest: Dollar Savings & Loan510.00558.51
Interest: W.P.N.B.142.43158.08
Capital Gain45.612,812.50
Rent: 30 River Road1,800.001,850.00
Rent, 358 Beaver Street1,500.001,500.00
Gambling winnings3,552.19--
Other income--9,206.00

A majority of the aforenoted items constituted income of petitioner rather than Marjorie. Although no breakdown appears for 1970 wages, only $105.10 of reported wages in 1971 were earned by Marjorie. It is not clear whether the dividends were those of petitioner or Marjorie but on her separate 1972 income tax return Marjorie reported dividends from Dryfus while petitioner, on his separate 1972 return, did not. The two savings accounts were in petitioners' joint names as was their rental house at 30 River Road. The house at 358 Beaver Street was petitioners' personal residence. The third floor thereof was leased to Mr. and Mrs. Charles Semenick during the years in issue. The rent therefrom was paid directly to Marjorie.

Petitioner managed*391 his household in patriarchal fashion. He told Marjorie little, if anything, about his activities including his business affairs.

Free access — add to your briefcase to read the full text and ask questions with AI

Jones v. Commissioner, 1977 T.C. Memo. 51, 36 T.C.M. 227, 1977 Tax Ct. Memo LEXIS 388 (tax 1977).

1977 T.C. Memo. 51 (Jones v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Bettye A. Sanders v. United States
509 F.2d 162 (Fifth Circuit, 1975)
Mysse v. Commissioner
57 T.C. 680 (U.S. Tax Court, 1972)
Adams v. Commissioner
60 T.C. 300 (U.S. Tax Court, 1973)