Kendzie v. Commissioner

1968 T.C. Memo. 174, 27 T.C.M. 845, 1968 Tax Ct. Memo LEXIS 124
CourtUnited States Tax Court
DecidedAugust 8, 1968
DocketDocket No. 3665-64.
StatusUnpublished

This text of 1968 T.C. Memo. 174 (Kendzie 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
Kendzie v. Commissioner, 1968 T.C. Memo. 174, 27 T.C.M. 845, 1968 Tax Ct. Memo LEXIS 124 (tax 1968).

Opinion

Joseph Kendzie and Sophie Kendzie v. Commissioner.
Kendzie v. Commissioner
Docket No. 3665-64.
United States Tax Court
T.C. Memo 1968-174; 1968 Tax Ct. Memo LEXIS 124; 27 T.C.M. (CCH) 845; T.C.M. (RIA) 68174;
August 8, 1968. Filed
L. Robert Leisner, Rand Bldg., Buffalo, N. Y., for the petitioners. John E. White, for the respondent.

FORRESTER

Memorandum Findings of Fact and Opinion

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

1939 Code1954 Code
IncomeSec. 294
YearTaxSec. 293(b)(d)(1)(A)Sec. 6653(b)
1947$2,194.94$ 1,097.47
19481,414.18707.09149.61
19492,611.701,305.85264.74
19506,906.563,453.28621.58
1951* 6,660.023,330.01601.67
1952* 2,567.571,283.79225.07
1953* 945.80472.90115.91
1954* 1,770.83207.59$885.42
*125 in 1954.

* Includes self-employment tax of $81 in 1951 through 1953 and $ 108

The questions for decision are whether respondent correctly determined the asserted deficiencies through the use of the net worth method, and (if so) as to each of the years, whether any part of such deficiency is dur to fraud. Absent fraud the statute of limitations applies to each year in issue.

Findings of Fact

Some of the facts have been stipulated and are so found. Petitioners, Joseph and Sophie Kendzie (hereinafter sometimes referred to as petitioners or individually as Joseph and Sophie, are husband and wife who at all relevant times since they were married in 1935 have resided in Lockport, New York. For the taxable years 1947 through 1951, 1 inclusive, Joseph and Sophie filed joint Federal income tax returns with the collector of internal revenue at Buffalo, New York. For the taxable years 1952 through 1954, inclusive, the petitioners filed joint Federal income tax returns with the district director of internal revenue at Buffalo, New York.

*126 In October of 1939, the petitioners opened a restaurant on property which they owned at 17 Richmond Avenue in Lockport, New York, (hereinafter sometimes referred to as the Richmond property). A liquor license allowing them to serve alcoholic beverages was issued in November of the same year.

Petitioners generally operated the business by themselves, employing only occasional help. During the years in issue and until petitioners sold this business in March 1950, its operation remained virtually unchanged. Drinks were priced from 5 cents for a short beer to 25 cents for a large 846 whiskey, and the clientele was almost entirely laboring men.

During all relevant times petitioners lived on the second floor of the building on the Richmond property with their two children, the eldest of whom was born in 1938. Sophie's father, Andrew Figura, also resided with them from 1945 until his death in 1961.

Figura was retired during this period, having formerly been employed at Simonds Saw & Steel Co. as the head inspector of all finished products, no item being shipped without its having passed his inspection. He received a pension during this period, and had savings derived from 40-years' *127 service at Simonds, including amounts earned when he was recalled on a full-time basis during the Second World War.

Petitioners' apartment was modestly furnished, lacking such items as a radio, television, phonograph, or private telephone. Heat and light bills were based on the total consumption for the entire Richmond building, a single meter being used for the restaurant and the living quarters. The total light bill was about $4 or $5 a month. There is no evidence as to the total amount of the heat bill.

The petitioners' clothing and food expenses were modest. Both worked in the restaurant during the day, she wearing a uniform and he wearing a jacket and trousers. Generally they consumed the same food as was served in the restaurant. Their working hours were long, lasting usually until 2 a.m., leaving little time for entertainment.

The family personal living expenses during the years in issue were $1,650 yearly from 1947 through 1950, and $1,800 for 1951 through 1954.

In 1946 or 1947 additions were added to both the first and second floors of the Richmond Street property. Andrew Figura paid a portion of the cost of these improvements, however, no substantial evidence was

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Bluebook (online)
1968 T.C. Memo. 174, 27 T.C.M. 845, 1968 Tax Ct. Memo LEXIS 124, Counsel Stack Legal Research, https://law.counselstack.com/opinion/kendzie-v-commissioner-tax-1968.