Paddock v. Commissioner

1985 T.C. Memo. 586, 51 T.C.M. 17, 1985 Tax Ct. Memo LEXIS 48
United States Tax Court·Decided December 2, 1985·No. Docket No. 19225-80.·Unpublished

Opinion

RICHARD W. PADDOCK, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Paddock v. Commissioner
Docket No. 19225-80.
United States Tax Court
T.C. Memo 1985-586; 1985 Tax Ct. Memo LEXIS 48; 51 T.C.M. (CCH) 17; T.C.M. (RIA) 85586;
December 2, 1985.
Richard W. Paddock, pro se.
Ray K. Kamikawa, for the respondent.

WILBUR

MEMORANDUM FINDINGS OF FACT AND OPINION

WILBUR, Judge: Respondent determined the following deficiencies and additions to tax:

Additions to tax
YearDeficiencySec. 6653(b) 1Sec. 6654(a)
1972$4,346.58$2,173.29$140.05
19736,556.063,278.03211.24
197412,878.256,439.12414.94
19753,228.841,614.42139.79
*50

The issues for decision are (1) whether petitioner is liable for the self-employment tax on his net earnings for the taxable years in issue; (2) whether petitioner is liable for an addition to tax pursuant to section 6654(a); and (3) whether any part of the underpayment for the years in issue is due to fraud or whether, in the alternative, petitioner is liable for the additions to tax pursuant to sections 6651 and 6653(a).

FINDINGS OF FACT

Pursuant to Rule 90(c) of the Tax Court Rules of Practice and Procedure2, respondent requested petitioner to admit or deny certain matters. Petitioner failed to respond within the required 30-day period, and as a result, the statements in respondent's request are deemed admitted.

Taxpayer failed to file Federal income tax returns for the taxable years 1972 through 1975. Petitioner (Mr. Paddock) resided in Kaneohe, Hawaii, at the time he filed his petition.

During the years 1945*51 to 1947, petitioner served in the United States Army Air Corps as a photographer. Following his discharge from the Air Corps, petitioner enrolled in several courses, including a bookkeeping course offered by the Standard Oil Company of California. After graduating from high school in 1949, petitioner enrolled in automotive courses at San Jose State College.

During the years 1950 to 1976, petitioner was a self-employed Chevron service station operator. From 1950 to 1962, petitioner operated a service station in San Francisco, and in 1962 he moved to San Jose where he remained until 1970. In 1970 Mr. Paddock and his family moved to Hawaii where petitioner operated a Chevron service station in Waipahu. Petitioner continued to operate the Waipahu service station until February of 1976 when it was closed by Chevron, U.S.A., Inc. He leased another service station in Maili, Hawaii, until September of 1976 when the lease was terminated by Chevron.

Petitioner was the sole proprietor of the Waipahu service station during the years in issue and, as such, was responsible for all record keeping, deposits of cash and receipts, finances, operations and compilation of records for tax return*52 purposes. Taxpayer submitted the records he maintained to his certified public accountant, Alex Chu, who used this information to prepare a Schedule C "Profit or (Loss) from Business or Profession" for each of the years in issue. Alex Chu provided petitioner with the Schedules C in time for Mr. Paddock to file timely Federal and state income tax returns. The specific items of income, deductions and not profit as shown on the Schedules C are summarized below.

1972197319741975
Gross re-$164,538.53 $173,619.88 $197,977.89 $210,857.40 
ceipts
Cost of

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Paddock v. Commissioner, 1985 T.C. Memo. 586, 51 T.C.M. 17, 1985 Tax Ct. Memo LEXIS 48 (tax 1985).

1985 T.C. Memo. 586 (Paddock v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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