Kim v. Commissioner
This text of 1991 T.C. Memo. 288 (Kim 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.
Opinion
*329
MEMORANDUM OPINION
Respondent determined deficiencies in and additions to tax against petitioners as follows:
| Additions to tax under sections | ||||
| Taxable Year Ending | Deficiency | 6653(a)(1) | 6653(a)(2) | 6661(a) |
| December 31, 1984 | $ 150,981 | $ 7,549 | * | $ 37,745 |
| December 31, 1985 | 190,305 | 9,515 | 47,576 | |
| December 31, 1986 | 191,417 | 1 9,571 | 2 | 47,854 |
| $ 532,703 | $ 26,635 | $ 133,175 | ||
Unless otherwise indicated, all section references are to the Internal Revenue Code as amended and in effect for the taxable years in issue. All Rule references are to the Tax Court Rules of Practice and Procedure.
At the conclusion of petitioners' case, respondent orally*330 moved for partial summary judgment on the issue of the correctness of the determined deficiencies. 3 The motion was granted because petitioners failed to present any evidence to the contrary and conceded that they had no evidence to the contrary. Accordingly, the issues remaining for decision are (1) whether petitioner Eung B. Kim owned the Chez Claudine massage parlor (Claudine's) and is, therefore, liable for the deficiencies as determined by respondent; (2) if so, whether petitioners are liable for the additions to tax under section 6653(a) for negligence; and (3) whether petitioners are liable for the addition to tax under section 6661(a) for substantially understating their income tax.
*331 Petitioners resided in Los Angeles, California, when they filed their petition for redetermination with this Court. Petitioners were married at all times during the years in issue and filed joint Federal income tax returns each year. Unless otherwise indicated all references to petitioner in the singular are to Eung B. Kim.
For convenience we combine our findings of fact and opinion for each issue.
Petitioners allege they are not liable for the deficiencies as determined because petitioner did not own Claudine's 4 but merely allowed Young Souk 5 Kim (the true owner) to use his name as its record owner. Thus, petitioners seek to disavow the form of Claudine's ownership and prove they had no interest or control over Claudine's, and received no benefit therefrom. Respondent contends that petitioners owned Claudine's during the years in issue and that petitioners failed to prove otherwise.
*332 After considering the testimony, the witnesses' credibility, and the documents introduced, we find petitioner's testimony on this issue inconsistent and untrustworthy.
On July 6, 1987, petitioner stated to Revenue Agent Dave Boyd, in the presence of Revenue Officer Michael Finne and Hyung Park (Claudine's or petitioner's attorney), that he (petitioner) purchased Claudine's in 1981 for $ 30,000 and that he was the sole owner of the establishment. He also stated that Young Souk Kim (Ms. Kim) was the manager. Petitioner's statements support those made on June 1, 1987, by Simon Kim, Claudine's accountant/bookkeeper, to Mr. Finne. It was not until December 29, 1989, over two years after the IRS first began its examination and one month before trial, that petitioner first claimed he was not the owner of Claudine's.
Additionally, petitioner held himself out to the public as the owner/operator of Claudine's for over six years. In 1981 petitioner applied to and received from the City of Huntington Beach a business license and a permit to operate Claudine's. He listed himself as its sole owner on the license application and signed it under penalties of perjury. On August 28, 1981, *333 the application was approved. To obtain the permit, petitioner submitted an application to the Huntington Beach Police Department.
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Cite This Page — Counsel Stack
1991 T.C. Memo. 288, 61 T.C.M. 3022, 1991 Tax Ct. Memo LEXIS 329, Counsel Stack Legal Research, https://law.counselstack.com/opinion/kim-v-commissioner-tax-1991.