McCullough v. Commissioner

1993 T.C. Memo. 70, 65 T.C.M. 1984, 1993 Tax Ct. Memo LEXIS 72
Procedural entryThis page is a short order in McCullough v. Commissioner. Read the opinion of the Court — 60 T.C.M. 1514
United States Tax Court·Decided March 2, 1993·No. Docket No. 15916-90·Unpublished

Opinion

WILLIAM J. MCCULLOUGH AND ANGELA M. MCCULLOUGH, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
McCullough v. Commissioner
Docket No. 15916-90
United States Tax Court
T.C. Memo 1993-70; 1993 Tax Ct. Memo LEXIS 72; 65 T.C.M. (CCH) 1984;
March 2, 1993, Filed

*72 Decision will be entered for respondent.

For petitioners: William J. McCullough.
For respondent: Michael L. Bitner.
KORNER

KORNER

MEMORANDUM OPINION

KORNER, Judge: Respondent determined additions to tax against petitioners for the years and in the amounts as follows:

Additions to Tax 1
YearSec. 6653(b)Sec. 6653(b)(1)Sec. 6653(b)(2)Sec. 6654
1980$ 33,933-- --$ 4,032
19816,287-- --578
1982-- $ 3,89150 percent of the339
interest on $ 7,781
1983-- 1,14950 percent of the--
interest on $ 2,297
1984-- 1,96150 percent of the--
interest on $ 3,921

At the time the petition herein was filed, petitioners were residents of Bridgeport, Illinois.

Petitioners refused to enter into any stipulation of facts in anticipation of trial as*73 required by Rule 91. The evidence here consists of certain facts in a stipulation of facts proposed by respondent, which were deemed to have been stipulated pursuant to order of the Court, pursuant to Rule 91(f), as well as certain other exhibits and testimony received at trial. Although instructed to file requested findings of fact and brief at the close of the trial herein (along with respondent), petitioners failed to do so. We will do the best we can with the record presented.

During the years 1980 through 1984, petitioner William J. McCullough was employed as a school principal, and petitioner Angela M. McCullough was employed as a secretary. Prior to the year 1980, petitioners filed income tax returns at least for the years 1978 and 1979 in which they reported their various items of income and capital gain. For the years 1980 through 1984, however, petitioners filed no income tax returns. In those years, petitioners received gross income, of which both petitioners had full knowledge and use, in the following amounts:

1980$ 312,299.53
198150,215.44
198243,377.58
198325,429.29
198433,456.58

This income was composed of salary and interest for each year, *74 and also was composed of dividends and capital gains from the sale of stock in the year 1980.

During the years 1980 through 1984, petitioners earned at out-of-state financial institutions a substantial portion of the interest income which they failed to report on income tax returns for said years.

The correct social security numbers of petitioners were:

William J. McCullough343-32-7304
Angela M. McCullough357-34-2883

During the years 1980 through 1984, petitioners utilized "scrambled" or incorrect versions of their respective social security numbers, as well as social security numbers not assigned to them on interest bearing accounts at financial institutions, including American National Bank of Vincennes, Indiana; Dreyfuss Liquid Assets, Inc.; and the Laurenceville National Bank and Trust Co.

During 1980, petitioners began construction of a new personal residence, a substantial portion of which was financed with cash payments, and with respect to which property petitioners caused the title to be placed in the names of their minor children subsequent to learning of the examination of their 1980 through 1982 income tax liabilities.

In 1986, petitioner William J.

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McCullough v. Commissioner, 1993 T.C. Memo. 70, 65 T.C.M. 1984, 1993 Tax Ct. Memo LEXIS 72 (tax 1993).

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