Pigman v. Commissioner

31 T.C. 356, 1958 U.S. Tax Ct. LEXIS 36
CourtUnited States Tax Court
DecidedNovember 13, 1958
DocketDocket No. 62607
StatusPublished
Cited by104 cases

This text of 31 T.C. 356 (Pigman v. Commissioner) is published on Counsel Stack Legal Research, covering United States Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Pigman v. Commissioner, 31 T.C. 356, 1958 U.S. Tax Ct. LEXIS 36 (tax 1958).

Opinion

Fisher, Judge:

This proceeding involves deficiencies in income tax and additions to tax determined against petitioner as follows:

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The issues presented for our consideration are: (a) Whether, and to what extent, petitioner omitted taxable income from her return for each of the years 1947, 1948, 1949, 1950, 1951, and 1952; (b) whether any part of the deficiency for each of the years in question is due to fraud with intent to evade tax; (c) whether the deficiencies for the years 1947 through 1951 are barred by the statute of limitations; and (d) whether the petitioner is liable for additions to tax under section 294 (d) (1) (A)1 for failure to file declarations of estimated tax, and section 294 (d) (2) for substantial underestimation of the estimated tax, for all the years in question.

FINDINGS OF FACT.

Some of the facts are stipulated and to the extent so stipulated are incorporated herein by reference.

Petitioner, Lnerana Pigman, is an unmarried individual presently residing in Oklahoma City, Oklahoma. She filed timely income tax returns for the calendar years 1947, 1948, 1949, 1950, and 1951 with the then collector of internal revenue for the first district of Illinois. Her income tax return for the calendar year 1952 was filed with the district director of internal revenue at Oklahoma City, Oklahoma.

Petitioner was born in Mountaintop, Arkansas, in 1902. She completed grammar school and attended the Y. M. C. A. Central High School in Chicago and the Englewood High School, Chicago, both for approximately 1 year. Prior to the period here in issue, she worked as owner and manager of various hamburger stands; manager, hostess, and cashier of various restaurants; and as a clerk and examiner for the United States Army Quartermaster Depot, Chicago. At the present time she is a one-half owner of an employment agency.

During the period in issue and until January 1953, petitioner resided in Berwyn, Illinois, a suburb of Chicago.

Sometime in 1944, petitioner met Fannie May Scoville who resided at the Blackstone Hotel, Chicago. Their first meeting occurred at a body massage parlor in Chicago where petitioner was telling fortunes for those who displayed an interest. Her fortunetelling was for amusement purposes and no charges were made therefor.

Fannie May Scoville (who used other names on occasion) is an eccentric, wealthy widow who was in fear of her stepson who, she believed, was threatening her and trying to gain control of the estate she received from her husband.

After their first meeting at the massage parlor, Fannie May visited petitioner at her home. Petitioner told Fannie May that she had some experience in investigative work and that she could help with her (Fannie May’s) difficulties.

In connection with her fear of her stepson and her attempts to protect her money, Fannie May engaged petitioner to make a trip to California in 1945 to seek out information about certain persons whom her stepson knew. Fannie May provided petitioner with a list of these persons and petitioner gave her a written report regarding some of the people listed, as well as others, and, in addition, noted the results of her investigation on the lists furnished by Fannie May.

Petitioner, during the years in issue, continued to do investigative work for Fannie May and made several trips to California in this connection. She made numerous other reports to Fannie May but all were oral. Petitioner reported that she had uncovered and squelched threats against Fannie May. She also reported that an attempt had been made to dope Fannie May which needed investigating and that she would have people watch over her and protect her from harm.

In addition to the reports on Fannie May’s stepson, petitioner informed her on the activities and attitudes of various other persons with whom Fannie May had social and business relations. Petitioner also advised Fannie May on real estate matters, both as to realty in general and information about specific real estate brokers.

Petitioner’s link with Fannie May was more than a mere business relationship. They had a social kinship in which petitioner acted as a companion, friend, and confidant to Fannie May. They went on motor trips together and visited each other’s residence or telephoned each other almost daily during the years involved.

During the years in question, Fannie May made gifts of money and other property to various persons in whom she had taken an interest. She made a $500 gift to petitioner to cover some medical expenses in an unspecified year.

Fannie May, on occasion, carried large amounts of cash on her person which at times amounted to $15,000 or more.

Fannie May made numerous payments to petitioner during the years in question which were intended as compensation for services rendered and expenses incurred in the investigative work that petitioner engaged in or had hired others to carry out.

A substantial portion of the moneys received by petitioner from Fannie May in each of the years 1917 through 1952 was deposited in petitioner’s name in the following banks:

National Bank of McAlester, McAlester, Oklahoma
First National Bank of Chicago, Chicago, Illinois
Drexel National Bank, Chicago, Illinois
Berwyn National Bank, Berwyn, Illinois
Liberty National Bank and Trust Company, Oklahoma City, Oklahoma
Newport Harbor Bank, Corona Del Mar, California

During the years 1947, 1948, and 1949, petitioner was also engaged in the real estate business as a broker in Chicago. During a part of the year 1950 and for the year 1951, petitioner owned and operated the Luerana Beauty Shop in Berwyn, Illinois, and was also engaged in buying and selling stocks. In 1952, petitioner also bought and sold stocks as an investment. All of the above occupations were in addition to the investigative services performed for Fannie May.

During 1950 and 1951, petitioner opened and maintained a checking account at the Berwyn National Bank, Berwyn, Illinois, in the name of Luerana’s Beauty Shop, which was used to deposit the receipts from petitioner’s beauty parlor. The receipts so deposited in this account were not used by respondent in his determination of unreported income.

In 1947, Fannie May paid the petitioner the sum of $16,000 which was “payment in full of all charges and cost of every kind and nature and all services rendered.” The petitioner executed a document dated March 18,1947, covering the receipt of this sum.

During the year 1947, petitioner made deposits in her bank accounts as follows:

Berwyn National Bank_$9, 800

First National Bank of Chicago_11, 700

21,500

During this same year, petitioner received and reported on her income tax return the amount of $2,800 from her activities as a real estate broker.

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Cite This Page — Counsel Stack

Bluebook (online)
31 T.C. 356, 1958 U.S. Tax Ct. LEXIS 36, Counsel Stack Legal Research, https://law.counselstack.com/opinion/pigman-v-commissioner-tax-1958.