Millikin v. Commissioner

1959 T.C. Memo. 210, 18 T.C.M. 995, 1959 Tax Ct. Memo LEXIS 38
United States Tax Court·Decided October 30, 1959·No. Docket Nos. 45050-45052.·Unpublished

Opinion

M. S. Millikin, et al. 1 v. Commissioner.
Millikin v. Commissioner
Docket Nos. 45050-45052.
United States Tax Court
T.C. Memo 1959-210; 1959 Tax Ct. Memo LEXIS 38; 18 T.C.M. (CCH) 995; T.C.M. (RIA) 59210;
October 30, 1959
*38

Respondent's determination of income by increase in net worth plus nondeductible expenditures method approved with adjustments in accordance with the proof.

Additions to tax under section 293(b), Internal Revenue Code of 1939 approved as to all years except 1949. Additions to tax for 1950 under sections 294(d)(1)(A) and 294(d)(2), I.R.C. 1939 approved.

Held, that the statute of limitations does not bar assessment and collection of the tax liabilities.

Held, further, that respondent failed to meet his burden of proving that the petitioner Dorothy P. Millikin is liable, as transferee of assets of her husband, for his tax liabilities for the years in question.

Charles Oliphant, Esq., and Kenneth D. Thomas, Esq., for the petitioners. Raymond Whiteaker, Esq., for the respondent.

ATKINS

Memorandum Findings of Fact and Opinion

ATKINS, Judge: The respondent determined deficiencies in income tax and additions to tax against petitioners as follows:

Additions to Tax
Sec. 294 Sec. 294
PetitionerDk. No.YearIncome TaxSec. 293(b)(d)(1)(A) (d)(2)
M. S. Millikin450511945$ 9,690.23$ 4,845.12
194627,297.8213,648.91
194722,570.0311,285.01
19485,893.612,946.81
19494,692.672,346.34
M. S. Millikin &
Doro-
thy P. Millikin4505219506,904.603,452.30$1,202.49

By *39amended answers in the above dockets the respondent made claim for increases in deficiencies in tax and additions to tax for the years 1945, 1947 and 1948 as follows:

Increase in Addi-
tions to Tax
Increase inunder Sec.
YearDeficiencies293(b)
1945$ 912.25$ 456.12
19472,195.331,097.67
19481,889.20944.60
and conceded that the deficiencies and additions to tax determined by him for the years 1946 and 1949 were excessive to the following extent:

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Millikin v. Commissioner, 1959 T.C. Memo. 210, 18 T.C.M. 995, 1959 Tax Ct. Memo LEXIS 38 (tax 1959).

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