Mathews (Mike) Rubino v. Commissioner of Internal Revenue

226 F.2d 291, 47 A.F.T.R. (P-H) 1995, 1955 U.S. App. LEXIS 5008
CourtCourt of Appeals for the Sixth Circuit
DecidedOctober 20, 1955
Docket12359
StatusPublished
Cited by10 cases

This text of 226 F.2d 291 (Mathews (Mike) Rubino v. Commissioner of Internal Revenue) is published on Counsel Stack Legal Research, covering Court of Appeals for the Sixth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Mathews (Mike) Rubino v. Commissioner of Internal Revenue, 226 F.2d 291, 47 A.F.T.R. (P-H) 1995, 1955 U.S. App. LEXIS 5008 (6th Cir. 1955).

Opinion

ALLEN, Circuit Judge.

The United States Tax Court determined deficiencies against petitioner of $928.30 for the year 1944, $3,653.14 for 1945, and $16,922.94 for 1946, and added fraud and delinquency penalties under Sections 293(b) and 291(a) of the Internal Revenue Code, 26 U.S.C. The Tax Court sustained the Commissioner in finding that petitioner owned an interest in the Navahoe Building, Detroit, acquired in 1944, and also that in 1946 he invested $14,802.50 and $19,830.50 in Moss Music Company and Chester Music Company, respectively, and that these and other assets, in light of the record, established the correctness of the Commissioner’s determination.

The principal legal question presented involves the validity of a net worth analysis of petitioner’s assets during the taxable years based on a zero net worth calculation made by the internal revenue agents as of December 31, 1943.

It is undisputed that petitioner kept no books, had no bank account at any time, and by his own testimony had followed the trade of gambler in 1944 and 1945. He filed an income tax return for 1943 reporting income of $2,280 as an employee of Sam Lucido. It is undisputed that for several years petitioner had no income and the tax return for 1943 was the first he filed. He filed no further income tax return until the return for 1946, although he filed estimates of income for 1944 and 1945 and made payments in accordance with the estimates.

Since petitioner had no financial records, no bank account, and no business or trade bringing in regular income, the government was entitled to estimate his income on the basis of net worth. United States v. Johnson, 319 U.S. 503, 63 S.Ct. 1233, 87 L.Ed. 1546; Holland v. United States, 348 U.S. 121, 130, 131, 75 S.Ct. 127.

As to the Navahoe Building, the Commissioner determined that in 1944 petitioner had an increase in net worth of $4,618.42 arising from investment in this building, which was sold on land contract in January, 1944, to Grace Rubino, mother of petitioner, Rose Lucido, wife of Sam Lucido, and Alvera Massu, wife of George Massu. The amount of down payment of $11,750 provided for in the land contract was delivered to Sullivan, agent in the transaction, in the form of a certified check, but it does not appear either when the check was given or when the payment was completed. It was made in two installments. In 1951 a deed to the property was executed to the named purchasers, but not recorded. The Commissioner determined that while an interest in the Navahoe Building purported to have been purchased by Grace Rubino, the pro-rata amount paid as her share on the land contract during the year 1944, figured as $4,618.42, was defrayed out of funds given Grace Rubino by petitioner and the interest was either actually owned by petitioner or money for the purchase was supplied by him. From this transaction the internal revenue agents figured the amount of the payment, $4,618.42, as an increase of net worth as of December 31, 1944.

Grace Rubino died May 12, 1949. Petitioner contended that his mother bought the interest in the Navahoe Building with funds given her by petitioner’s father, Dominic Rubino, who died in 1926. Dominic Rubino left no estate so far as shown by the records of the Probate Court. He filed no income tax returns for the years 1914 to 1926, inclusive. In May, 1925, he and Grace Rubino mortgaged their home for $1,800. Grace Rubino was in arrears on interest payments on the mortgage from 1933 to 1936 and made no payments on the principal from 1935 to 1937. The mortgage was paid and retired on August 17, 1942. There was no bank record of the payment. Petitioner claimed that the amount paid by his mother on the land contract was kept by her in the house. Grace Rubino filed income tax returns for 1944, 1945, and 1946, listing as income rentals from the property.

*294 Under the record it was a fair, inference that the amount of $4,618.42 credited to Grace Rubino in the land contract came from payments made by her on behalf of petitioner or out of funds .given her by petitioner. While it is possible, as petitioner claimed, that Grace .Rubino might have kept $4,618.42 in her stocking in her home for many years, as savings, either from personal earnings or from sums received from her husband, this is an issue of fact. The determination of the Commissioner and the Tax Court on this point was not clearly erroneous and must be sustained here. Petitioner had the burden of proof that the Commissioner’s determination was incorrect, but this burden he did not sustain. He introduced no evidence as to his father’s occupation, earnings, or assets, nor did he contend that his mother worked in any gainful occupation.

During part of the period involved petitioner had substantial cash assets, for he admitted having $7,500 cash on hand on December 31, 1945, and in January, 1946, he gave his wife, Marie Rubino, $5,000 in cash. In 1946 petitioner spent approximately $3,750 on two automobiles.

As to petitioner’s investment in Moss Music Company and Chester Music Company, the record shows that on March 1, 1946, petitioner made a partnership agreement with Irwin B. Moss and Sam Lucido under the partnership name of Moss Music Company. The decision of the Tax Court as to the amount of $14,-802.50 contributed to this company by petitioner is supported by the testimony of Moss, the internal revenue agent, and the records of Moss Music Company. A written contract executed by the partners stated that “the said Irwin B. Moss, .Sam Lucido and Mike Rubino have contributed capital in the total amount of ten thousand dollars ($10,000.00) in equal shares * * Petitioner denied that he paid any part of his share of $10,000 and stated that no money changed hands in the transaction. Copies of journal entries made from the ledger of Moss Music Company by the internal revenue agent in the presence of Moss and of his accountant and stated by Moss to have been checked by him and found to be correct are as follows: 3/1/46

******

Capital invested by Sam Lucido and Mike Rubino 10,000.00 ■

5/18/46

To record addition of Capital by Sam Lucido and Mike Rubino of $7,-660.00.

7/6/46

To record additional capital of Sam Lucido and Mike Rubino of 10,-695.00

Deposited July 6, 1946.

5/2/47

To record dissolution of partnership of Sam Lucido and Mike Rubino bought out by Irwin Moss of 29,-000.00 25,000.00 cash and promise to pay 4,000.00 balance.

The ledger sheets of a checking account in the name of Moss Music Company at a Detroit bank completely corroborate the last three of these journal entries. On liquidation of the company Moss placed $25,000 cash in a drawer of his desk and notified Lucido and the money was removed.

In 1946 petitioner invested in another juke box company, together with Irwin Chester and Sam Lucido. Petitioner and Lucido owned a 75 % interest in this business and were to split the profits 50-50. Chester testified that Lucido and petitioner contributed $10,000, that later $25,000 in cash was invested by Lucido and petitioner in equal amounts and that Lucido and petitioner furnished equal amounts to pay a bill of $4,700.

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226 F.2d 291, 47 A.F.T.R. (P-H) 1995, 1955 U.S. App. LEXIS 5008, Counsel Stack Legal Research, https://law.counselstack.com/opinion/mathews-mike-rubino-v-commissioner-of-internal-revenue-ca6-1955.