Platon v. Commissioner

1994 T.C. Memo. 172, 67 T.C.M. 2712, 1994 Tax Ct. Memo LEXIS 174
United States Tax Court·Decided April 19, 1994·No. Docket No. 15113-93·Unpublished

Opinion

EDNA MACARAIG PLATON, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Platon v. Commissioner
Docket No. 15113-93
United States Tax Court
T.C. Memo 1994-172; 1994 Tax Ct. Memo LEXIS 174; 67 T.C.M. (CCH) 2712;
April 19, 1994, Filed

*174 As appropriate order of dismissal and decision will be entered.

Edna Macaraig Platon, pro se.
For respondent: Alan S. Beinhorn.
DAWSON

DAWSON

MEMORANDUM OPINION

DAWSON, Judge: This matter was heard by Special Trial Judge Stanley J. Goldberg pursuant to section 7443A(b)(4) and Rules 180, 181, and 183. 1 The Court agrees with and adopts the opinion of the Special Trial Judge.

OPINION OF THE SPECIAL TRIAL JUDGE

GOLDBERG, Special Trial Judge: This matter is before the Court on respondent's Motion to Dismiss for Failure to State a Claim for Relief and for Damages Under I.R.C. Section 6673, filed on August 27, 1993, and petitioner's motion to dismiss filed December 6, 1993. After the filing of respondent's motions, the Court, by Order dated August 30, 1993: (1) Directed petitioner to file, on or before October 1, 1993, an Amended Petition which*175 complies with our Rules; and (2) calendared respondent's motion for hearing at the San Francisco trial session beginning December 6, 1993. Petitioner has not filed an Amended Petition; instead, she sent to the Court a document entitled "Affidavit in Truth to Petitioner's Motion to Dismiss for Petitioner's Error". This document was received on September 30, 1993, and was intended as a response to the Court's August 30, 1993, Order. The case was called from the calendar in San Francisco on December 6, 1993. Petitioner and counsel for respondent appeared and were heard. Petitioner's document received on September 30, 1993, was filed as a motion to dismiss at the hearing.

By notice of deficiency, dated April 22, 1993, respondent determined deficiencies in petitioner's Federal income taxes and additions to tax as follows:

Additions to Tax
YearDeficiencySec. 6651(a)(1)Sec. 6654(a)
1990$ 18,418$ 4,605$ 1,210
19914,6341,159263

In the notice of deficiency, respondent determined that petitioner, a self-employed individual domiciled in California, failed to file Federal income tax returns for 1990 and 1991, and did not report income received from the*176 sources listed below in the following amounts for those years:

Taxable Years 
Source19901991
Dividends:
Templeton Foreign Fund$  2-0-
Dean Witter Reynolds Inc.3$ 1 
Total5
Interest:
Bay View Federal Bank$  12-0-
Patelco Credit Union59-0-
Surety Federal Bank-0-$ 130
Total71130
Insurance Sales:
Mapleleaf Insurance Service
(Form 1099-MISC)$ 55,912-0-
Investors Life of Nebraska
(Form 1099-MISC)-0-$ 1,779
Mid-Continent Life
(Form 1099-MISC)-0-3,518
Massachusetts Indemnity
(Form 1099-MISC)

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Platon v. Commissioner, 1994 T.C. Memo. 172, 67 T.C.M. 2712, 1994 Tax Ct. Memo LEXIS 174 (tax 1994).

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