Marcello v. Commissioner

1964 T.C. Memo. 303, 23 T.C.M. 1877, 1964 Tax Ct. Memo LEXIS 38
Procedural entryThis page is a short order in Marcello v. Commissioner. Read the opinion of the Court — 43 T.C. 168
United States Tax Court·Decided November 19, 1964·No. Docket No. 2547-62, 2651-62.·Unpublished

Opinion

Peter J. Marcello and Penny V. Marcello v. Commissioner. George S. Valentine and Minnie L. Valentine v. Commissioner.
Marcello v. Commissioner
Docket No. 2547-62, 2651-62.
United States Tax Court
T.C. Memo 1964-303; 1964 Tax Ct. Memo LEXIS 38; 23 T.C.M. (CCH) 1877; T.C.M. (RIA) 64303;
November 19, 1964
deQuincy V. Sutton, Dixie Towers, Meridian, Miss., for the petitioners. Robert S. Leigh, for the respondent.

DAWSON

Memorandum Findings of Fact and Opinion

DAWSON, Judge: Respondent determined the following deficiencies against petitioners:

Addition to Tax
Sec. 6653(a),
PetitionersYearDeficiencyI.R.C. 1954
Peter J. and Penny V. Marcello1958$31,910.84$1,595.54
George S. and Minnie L. Valentine195811,448.17572.41

The issues for decision are: (1) Whether the net income from the operation of two businesses, known as Ship's Lounge and Latin Quarter should be attributed for the year 1958 to Peter J. and Penny V. Marcello or to George S. and Minnie L. Valentine; (2) whether petitioners Peter and Penny Marcello understated their income from the Ship's Lounge and Latin*39 Quarter on their Federal income tax return for 1958 by $28,116.18 or, alternatively, whether petitioners George and Minnie L. Valentine understated their income from the Ship's Lounge and Latin Quarter on their Federal income tax return for 1958 by $32,756.69; (3) whether petitioners Peter and Penny Marcello understated taxable capital gains reported by them on their 1958 Federal income tax return which arose from the sale of assets of the Ship's Lounge and Latin Quarter; (4) whether petitioner Peter Marcello realized taxable gain in 1958 with respect to the sale of an undivided interest in inherited real estate and, if so, in what amount; and (5) whether petitioners Peter and Penny Marcello or, alternatively, George and Minnie Valentine are liable for an addition to tax under the provisions of section 6653(a) 1 for the year 1958.

Findings of Fact

Certain documents were presented to the Court on oral stipulation of the parties and they are incorporated herein by this reference.

Peter J. and Penny V. Marcello are husband and wife, who reside at 3008 Ridgeway Drive, Metairie, Louisiana. *40 Using the cash basis of accounting, they filed their joint Federal income tax return for the taxable year 1958 with the district director of internal revenue at New Orleans, Louisiana.

George S. and Minnie L. Valentine are husband and wife, who reside at 1518 S. Carrolton Avenue, New Orleans, Louisiana. Using the cash basis of accounting, they filed their joint Federal income tax return for the taxable year 1958 with the district director of internal revenue at New Orleans.

Peter J. Marcello, the husband of Penny V. Marcello, is the son-in-law of George S. Valentine.

On his Federal income tax return for 1958, George S. Valentine (hereinafter sometimes called Valentine) reported compensation of $5,820.16 resulting from his full time employment as a bus driver for the New Orleans Public Service Company, and an alleged loss of $1,040.51 as realized from the operation in 1958 of two bar and lounge businesses known as the Ship's Lounge and Latin Quarter and located at 116 La Salle Street and 1418 Canal Street in New Orleans.

The net loss of $1,040.51 reported on Valentine's income tax return for 1958 was detailed in the following schedule attached to the return:

George S. Valentine
1958
Operating Ship Lounge4-1-59 to 9-15-59
Operating Latin Quarter5-1-59 to 12-31-59
Ship LoungeLatin Qtr.
Income: Sales$25,175.45$33,282.90
Music Machine1,410.50
$25,175.45$34,693.40$59,868.85
Expense:
Rent - Bldg. - Ship$ 2,100.00
Latin Qtr.2,800.00
Equipment - Ship1,100.00
Latin Qtr.1,600.00$ 7,600.00

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

Marcello v. Commissioner, 1964 T.C. Memo. 303, 23 T.C.M. 1877, 1964 Tax Ct. Memo LEXIS 38 (tax 1964).

1964 T.C. Memo. 303 (Marcello v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.