Rose v. Commissioner

8 T.C.M. 8, 1949 Tax Ct. Memo LEXIS 300
United States Tax Court·Decided January 6, 1949·No. Docket Nos. 5138, 5157, 11737, 11738.·Unpublished

Opinion

A. Brigham Rose and Zelletta Rose v. Commissioner. Lori, Ltd., Incorporated v. Commissioner. Zelletta M. Rose v. Commissioner. A. Brigham Rose v. Commissioner.
Rose v. Commissioner
Docket Nos. 5138, 5157, 11737, 11738.
United States Tax Court
1949 Tax Ct. Memo LEXIS 300; 8 T.C.M. (CCH) 8; T.C.M. (RIA) 49005;
January 6, 1949
A. Brigham Rose, Esq., for the petitioners. R. E. Maiden, Esq., for the respondent.

KERN

Memorandum Findings of Fact and Opinion

In these proceedings respondent determined deficiencies in income tax and fraud penalties against the individual petitioners, as follows:

Docket No.PetitionersYearDeficiency50% Penalty
5138A. Brigham Rose and Zelletta Rose1940$1,658.81$ 829.41
11737Zelletta M. Rose19391,414.95
19411,683.90
11738A. Brigham Rose19382,792.601,396.30
19391,414.95707.48
19411,683.90841.95

*301 In Docket No. 5157, deficiencies and penalties were determined against the corporate petitioner, as follows:

YearKind of TaxDeficiency25% Penalty50% Penalty
1938Income$3,574.45$1,787.23
1939Income3,363.201,681.60
1940Income2,402.091,201.05
1941Income2,664.571,332.29
1938Excess Profits2,705.831,352.92
1939 *Declared Value Excess Profits2,565.931,282.97
1940Declared Value Excess Profits1,794.68897.34
1941Declared Value Excess Profits1,755.58877.79
1940Excess Profits2,130.68$532.671,065.34
1941Excess Profits3,779.94944.991,889.97

In his answer, respondent alleges that the corporation income and excess-profits tax returns (Form 1120A) filed by Lori, Ltd., Incorporated, hereinafter sometimes referred to as Lori, for the calendar years 1938 and 1939 do not constitute "returns" within the meaning of the applicable sections of the Revenue Act of 1938 and the Internal Revenue Code, and that there are, therefore, due and owing from the corporate petitioner, in addition to the above deficiencies and penalties as determined in*302 the statutory notice, the 25% penalties for failure to file proper returns in the following respective amounts:

YearKind of Tax25% Penalty
1938Income$893.61
Excess-profits676.46

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Rose v. Commissioner, 8 T.C.M. 8, 1949 Tax Ct. Memo LEXIS 300 (tax 1949).

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