Richard P. Paul v. Commissioner of Internal Revenue

991 F.2d 799, 1993 U.S. App. LEXIS 15382, 1993 WL 102652
CourtCourt of Appeals for the Seventh Circuit
DecidedApril 6, 1993
Docket92-1770
StatusUnpublished

This text of 991 F.2d 799 (Richard P. Paul v. Commissioner of Internal Revenue) is published on Counsel Stack Legal Research, covering Court of Appeals for the Seventh Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Richard P. Paul v. Commissioner of Internal Revenue, 991 F.2d 799, 1993 U.S. App. LEXIS 15382, 1993 WL 102652 (7th Cir. 1993).

Opinion

991 F.2d 799

NOTICE: Seventh Circuit Rule 53(b)(2) states unpublished orders shall not be cited or used as precedent except to support a claim of res judicata, collateral estoppel or law of the case in any federal court within the circuit.
Richard P. PAUL, Petitioner-Appellant,
v.
COMMISSIONER OF INTERNAL REVENUE, Respondent-Appellee.

No. 92-1770.

United States Court of Appeals, Seventh Circuit.

Submitted March 30, 1993.*
Decided April 6, 1993.

Before BAUER, Chief Judge, and EASTERBROOK and RIPPLE, Circuit Judges.

ORDER

Richard Paul appeals from a decision of the United States Tax Court upholding a deficiency determination by the Commissioner of Internal Revenue. The court found that Paul had unreported income from the sale of cocaine in 1984 for $253,732 and in 1985 for $163,723. In addition, the court determined that he was liable for unpaid self-employment tax under § 1401 of the Internal Revenue Code, as well as for additions to tax under §§ 6651(a), 6653(a)(1), 6654, and 6661 of the Code.

Mr. Paul's brief, filed pro se, is difficult to decipher. It only marginally conforms with the requirements of Rule 28. Nevertheless, we shall address the contention that, with a great deal of effort, we are able to identify. We read Mr. Paul's brief as an attack on the sufficiency of evidence supporting the Commissioner's determinations. He advanced precisely this argument before the tax court, which thoroughly addressed and rejected his contentions in the attached opinion. For the reasons set forth in that opinion, we affirm the judgment of the tax court.

AFFIRMED.

ATTACHMENT

T.C. Memo. 1992-139

United States Tax Court

RICHARD PETER PAUL, Petitioner v. COMMISSIONER OF INTERNAL

REVENUE, Respondent

Docket No. 31244-88.

Filed March 9, 1992.

Richard Peter Paul, pro se.

Philip G. Owens, for respondent.

MEMORANDUM FINDINGS OF FACT AND OPINION

DAWSON, Judge:1

Respondent determined the following deficiencies in and additions to petitioner's Federal income taxes:

                                  Additions to Tax
      -------------------------------------------------------------------------
                    Sec.       Sec.    Sec.                      Sec.    Sec.
Year  Deficiency  6651(a)(-  6653(a)-  6653(a)(2)                6654    6661
                     1)        (1)
1984   $76,252     $19,063    $3,183   50% of the interest due  $4,798  $19,063
                                         on $76,252
1985    45,360      11,340     2,268   50% of the interest due   2,599   """"
                                         on $45,360

Respondent also determined that petitioner is subject to self-employment taxes pursuant to section 14012 for 1984 and 1985 in the respective amounts of $4,271 and $4,673.

The issues for decision are: (1) Whether petitioner Richard Peter Paul had unreported income from the illegal sale of drugs for 1984 and 1985 in the respective amounts of $253,732 and $163,723; (2) whether petitioner is liable for self-employment taxes for 1984 and 1985; (3) whether petitioner is liable for the additions to tax for negligence pursuant to section 6653(a)(1) and (a)(2) for 1984 and 1985; (4) whether petitioner is liable for the addition to tax for substantial understatement pursuant to section 6661 for 1984; (5) whether petitioner is liable for the additions to tax for failure to timely file Federal income tax returns pursuant to section 6651(a)(1) for 1984 and 1985; and (6) whether petitioner is liable for the additions to tax for failure to make estimated tax payments pursuant to section 6654(a) for 1984 and 1985.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts and the attached exhibits are incorporated herein by this reference.

Petitioner was incarcerated at the Federal Correctional Institution in Ashland, Kentucky, at the time he filed his petition in this case. He filed a delinquent Federal income tax return for 1984 on January 2, 1986. He did not file a Federal income tax return for 1985. The deficiencies at issue are based on respondent's determination that petitioner failed to report income received from his cocaine trafficking activity during 1984 and 1985. Petitioner's Federal income tax return for 1984 did not report any income from the sale of cocaine.

Indictment and Guilty Plea

Petitioner was indicted by a grand jury on February 19, 1986, in the United States District Court for the Eastern District of Wisconsin.3 He was charged with eight counts of various Federal drug violations. On April 29, 1986, he pled guilty to Counts One and Five of the indictment. Count One charged petitioner with conspiring to distribute cocaine between January 1, 1983, and December 31, 1985. Count Five charged him with possession with intent to distribute two kilograms of a mixture containing cocaine on or about October 15, 1984. The remaining counts4 were dismissed pursuant to the plea agreement. Petitioner was sentenced to consecutive prison terms of 12 years on Count One and six years on Count Five.

On May 20, 1988, petitioner filed a petition with the District Court for the Eastern District of Wisconsin seeking to set aside his guilty pleas and prison sentences. The District Court denied his petition in an unpublished order on September 29, 1988, and the Court of Appeals for the Seventh Circuit affirmed the order per curiam in an unpublished order dated December 4, 1990. At the time of the trial in this case, petitioner was serving his sentence at the Federal Correctional Institution in Ashland, Kentucky.

Criminal Investigation

Petitioner's indictment resulted from a lengthy investigation begun in June 1984, by the City of Milwaukee Police Department, and joined in July 1985, by the City of New Berlin Police Department and the Drug Enforcement Administration. In October 1985, the Waukesha County Sheriff's Department entered the investigation.5

Investigators originally learned of petitioner's cocaine sales from an informant. Over a period of time, several informants provided the police with evidence that they had purchased cocaine from petitioner and had specific knowledge of his drug trafficking during 1984 and 1985. The investigators corroborated this information by way of subpoenaed records of various companies which substantiated significant portions of the informants' statements.

Cocaine Sales

In 1982 or 1983, petitioner began buying and selling small amounts of cocaine in Milwaukee. He later increased the quantities until he was dealing in pound and multi-kilo units. He purchased the cocaine from various suppliers in Florida and resold it, primarily from his home. He later became a large-scale drug dealer.

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Bluebook (online)
991 F.2d 799, 1993 U.S. App. LEXIS 15382, 1993 WL 102652, Counsel Stack Legal Research, https://law.counselstack.com/opinion/richard-p-paul-v-commissioner-of-internal-revenue-ca7-1993.