Pope v. Commissioner

1980 T.C. Memo. 332, 40 T.C.M. 1045, 1980 Tax Ct. Memo LEXIS 253
CourtUnited States Tax Court
DecidedAugust 25, 1980
DocketDocket Nos. 677-75, 14204-78, 3806-79.
StatusUnpublished

This text of 1980 T.C. Memo. 332 (Pope 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
Pope v. Commissioner, 1980 T.C. Memo. 332, 40 T.C.M. 1045, 1980 Tax Ct. Memo LEXIS 253 (tax 1980).

Opinion

THEODORE F. POPE, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Pope v. Commissioner
Docket Nos. 677-75, 14204-78, 3806-79.
United States Tax Court
T.C. Memo 1980-332; 1980 Tax Ct. Memo LEXIS 253; 40 T.C.M. (CCH) 1045; T.C.M. (RIA) 80332;
August 25, 1980, Filed
Robert Penley, for the petitioner.
Thomas H. Catalano, for the respondent.

TIETJENS

MEMORANDUM OPINION

TIETJENS, Judge: Respondent determined the following deficiencies in petitioner's Federal income tax:

YearDeficiency
1972$ 1,204
19736,664
197414,995$
19751,780

The issues for our determination are (1) whether, for the years at issue, petitioner was domiciled in California, a community property jurisdiction, thereby entitling him to attribute one-half of his income to his nonresident alien wife and (2) whether, if we find that petitioner was domiciled in California for 1972 through 1975, petitioner is entitled to the full amount of the exclusion provided by section 911. 1

*254 This case was fully stipulated pursuant to Rule 122, Tax Court Rules of Practice and Procedure. The stipulation of facts and attached exhibits are incorporated herein by reference.

At the time he filed his petition, petitioner Thomas F. Pope resident at Taura, Yokosuka, Japan. For the years 1972 through 1975, petitioner timely filed individual Federal income tax returns with the Internal Revenue Service.

Born in Columbus, Ohio in 1939, petitioner continued to reside there until 1957 when he entered the United States military service and listed Ohio as his home state.

During 1958 and 1959, petitioner was in the Navy and was stationed in Long Beach, California. For approximately six months of each of those two years, petitioner cruised to the Far East. During 1960 and 1961, petitioner was stationed in Yokoska, Japan.

On March 1, 1961, petitioner married a Japanese national at the American consulate in Yokahama, Janpan.Petitioner was discharged from military service in December, 1961. He then continued to reside in Japan with his wife until December, 1969.

His visits to the United States between 1962 and 1969 included his traveling alone (1) to Long Beach, California*255 to attend insurance marketing school for five months during 1964; (2) to Missouri to attend an insurance convention for four days in 1968; (3) to Columbus, Ohio to visit his parents for three days in 1968; and (4) to California for three weeks in 1968 for the purpose of real estate investments. Petitioner purchased commercial real estate on July 25, 1968 which was later sold on August 31, 1974.

In December, 1969, petitioner and his family moved to Long Beach, California where he rented a house for approximately eight months. On October 20, 1970, petitioner purchased a personal residence in San Diego, California and, exactly one year later, he sold that residence. The purpose of petitioner's stay in the United States involved his 18-month contract with R. T. Emery Insurance Agency (Agency) to establish insurance officers for the Agency and to hire and train sales-persons.

In June, 1971, petitioner's wife and children returned to Japan and on October 26, 1971, petitioner joined them. From the remainder of 1971 through 1975, petitioner was in Japan in an insurance business named Theodore F. Pope Insurance.

During the period 1974-1979, petitioner visited California three times*256 and Ohio twice. In 1974, petitioner and his family visited friends for 24 days in San Diego and El Cajon, California. In 1976 and in 1979, petitioner alone visited these same places in California for, respectively, 14 days and 45 days. Petitioner and his family visited Columbus, Ohio for eight days in 1974 and for six days in 1979.

Petitioner's wife, Kazue Pope, is and has been a citizen of Japan. On December 1, 1975, she submitted to the Internal Revenue Service a completed questionnaire in which she indicated, under penalty of perjury, that she expected to remain in the United States for a "VERY TEMPORARY" period and that she entered the United States to "VISIT AND TO BE WITH HUSBAND AT WORK CHANGE/STUDY." In addition, she stated that she did not change her original intention about the length of her stay in the United States.

Petitioner never registered to vote in California. He has never belonged to any professional or fraternal organizations in California. Further, petitioner has not purchased any burial sites in California.

Petitioner secured California driver's licenses for the following periods: 1964-1967; 1970-1973; September, 1979-present. In addition, petitioner*257 has a valid Japanese driver's license first issued in 1961 and renewed at each expiration date.

For the years 1970 and 1971, petitioner filed a Form 540 (Resident) joint California individual income tax return. For the years 1972-1974, petitioner filed a Form 540 NR (Non-resident) joint California individual income tax return and each year attached the following statement regarding residency to his returns: "Taxpayers have been permanent residents of Japan since October 26, 1971. A California return is being filed to reflect their income and deductions from California sources." No income tax returns were filed for the years 1975 through 1978. Petitioner alleges that he had insufficient income from California to require filing a return for these years.

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Cite This Page — Counsel Stack

Bluebook (online)
1980 T.C. Memo. 332, 40 T.C.M. 1045, 1980 Tax Ct. Memo LEXIS 253, Counsel Stack Legal Research, https://law.counselstack.com/opinion/pope-v-commissioner-tax-1980.