Lebowitz v. Commissioner

1978 T.C. Memo. 155, 37 T.C.M. 687, 1978 Tax Ct. Memo LEXIS 360
United States Tax Court·Decided April 20, 1978·No. Docket No. 9245-75.·Unpublished

Opinion

HENRIETTA LEBOWITZ, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Lebowitz v. Commissioner
Docket No. 9245-75.
United States Tax Court
T.C. Memo 1978-155; 1978 Tax Ct. Memo LEXIS 360; 37 T.C.M. (CCH) 687; T.C.M. (RIA) 780155;
April 20, 1978, Filed
*362 Henrietta Lebowitz, pro se.
Joan Ronder Domike, for the respondent.

FORRESTER

MEMORANDUM FINDINGS OF FACT AND OPINION

FORRESTER, Judge: Respondent has determined deficiencies in petitioner's Federal income taxes as follows:

Income taxSec. 6651(a) 1Sec. 6653(a)Sec. 6654
deficiencyadditions toadditionsadditions
Yeartaxto taxto tax
1973$ 731.00$183.00$37.00$23.39
19741,207.00302.0060.0038.62
1975697.00174.2534.8522.32

The following issues remain for our decision: (1) Whether petitioner received alimony income during 1973, 1974, and 1975; (2) Whether petitioner had net rental income in 1973 and 1974; (3) Whether petitioner's taxes should be computed using the rates for unmarried individuals, or else those for married individuals filing separate returns; and (4) Whether petitioner is liable for additions to tax for failure to file timely tax returns without reasonable cause, for negligence or intentional disregard of rules and regulations*363 with respect to any underpayment of her income taxes, and for underpayment of estimated tax.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found.

Petitioner Henrietta Lebowitz (petitioner or Henrietta) resided in Glens Falls, New York, on the date the petition was filed herein. Petitioner did not file Federal income tax returns for the taxable years 1973, 1974, and 1975.

During 1973 through 1975, petitioner was legally married to I. Charles Lebowitz (Charles). They were not legally separated but were living apart during such period. In June 1972, Charles instituted an action for divorce against petitioner in the Supreme Court of the State of New York, County of Warren. On June 18, 1973, on a motion for temporary alimony brought on behalf of Henrietta in the divorce action, Supreme Court Justice Edmund L. Shea handed down his decision (June 18, 1973, decision) that Charles should pay Henrietta the total sum of $1,200 as her support for the period of April 1973 through June 1973, and that Charles should pay Henrietta $125 per week as temporary alimony commencing on July 1, 1973, until otherwise directed by the court. Attorney Harold W. Katz (Katz) *364 represented Henrietta in connection with the temporary alimony award and a copy of the June 18, 1973, decision was sent to Katz. On February 11, 1977, Justice Shea entered an order pendente lite in the divorce action nunc pro tunc as of June 18, 1973, awarding Henrietta payments in accordance with his June 18, 1973, decision.

Pursuant to the June 18, 1973, decision of Justice Shea, Charles made payments to Henrietta as follows:

YearAmount
1973$4,575
19746,500
19756,500

During the years 1973 and 1974, petitioner and Charles owned as tenants by the entirety a two-family duplex located in Glens Falls, New York. Petitioner lived in half of the duplex and rented the other half. Charles did not live in such duplex during any part of 1973, 1974, or 1975. None of the rental income from the duplex was received by Charles and he did not pay any of the expenses of the duplex. Charles permitted petitioner to rent half of the duplex and he did not claim any of the rent. The income and expenses of the rental portion of the duplex were as follows:

19731974
Gross rent$1,740$1,815

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

Lebowitz v. Commissioner, 1978 T.C. Memo. 155, 37 T.C.M. 687, 1978 Tax Ct. Memo LEXIS 360 (tax 1978).

1978 T.C. Memo. 155 (Lebowitz v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Lucas v. Earl
281 U.S. 111 (Supreme Court, 1930)
Morgan v. Finnegan, Collector of Internal Revenue
182 F.2d 649 (Eighth Circuit, 1950)
Hiles v. . Fisher
39 N.E. 337 (New York Court of Appeals, 1895)
Shomaker v. Commissioner
38 T.C. 192 (U.S. Tax Court, 1962)
Dillin v. Commissioner
56 T.C. 228 (U.S. Tax Court, 1971)
Newman v. Commissioner
68 T.C. 494 (U.S. Tax Court, 1977)
Capodanno v. Commissioner
69 T.C. 638 (U.S. Tax Court, 1978)
Greene v. Commissioner
7 T.C. 142 (U.S. Tax Court, 1946)
Kraus v. Huelsman
52 Misc. 2d 807 (New York Supreme Court, 1967)
People v. Andriacco
29 A.D.2d 734 (Appellate Division of the Supreme Court of New York, 1968)