Ruark v. Comm'r

1969 T.C. Memo. 48, 28 T.C.M. 265, 1969 Tax Ct. Memo LEXIS 247
CourtUnited States Tax Court
DecidedMarch 13, 1969
DocketDocket No. 3211-66.
StatusUnpublished

This text of 1969 T.C. Memo. 48 (Ruark v. Comm'r) 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
Ruark v. Comm'r, 1969 T.C. Memo. 48, 28 T.C.M. 265, 1969 Tax Ct. Memo LEXIS 247 (tax 1969).

Opinion

Mary Ruark v. Commissioner.
Ruark v. Comm'r
Docket No. 3211-66.
United States Tax Court
T.C. Memo 1969-48; 1969 Tax Ct. Memo LEXIS 247; 28 T.C.M. (CCH) 265; T.C.M. (RIA) 69048;
March 13, 1969, Filed
*247

Petitioner transportation for migratory laborers to nearby orchards and farms. On her income tax returns for 1961 to 1964 she reported net losses or small net income. She deposited over $30,000 in savings accounts and accrued more than $8,000 in interest thereon in these years.

Held: (1) The amounts deposited in savings accounts and the interest accrued thereon are taxable as income to petitioner. (2) The underpayments of tax were due to fraud. (3) The statute of limitations does not bar the deficiency for 1961.

Joseph H. Trethewey and Robert Earl Smith, 1418 IBM Bldg., Seattle, Wash., for the petitioner. Lee A. Kamp, for the respondent.

BRUCE

Memorandum Findings of Fact and Opinion

BRUCE, Judge: Respondent determined deficiencies in income tax and additions to tax under section 6653(b) of the Internal Revenue Code of 1954 for fraud for the calendar years 1961 through 1964 as follows:

Addition to Tax
YearDeficiencySec. 6653(b)
1961$ 662.00$ 331.00
19621,642.15821.08
19633,245.111,622.55
19641,072.69536.35

By amended answer respondent claimed increased deficiencies and additions to tax for such years as follows:

1961$1,528.55$ 764.28
1962268.06134.03
1963418.24209.13
1964343.23171.61

The issues *248 for decision are whether petitioner had unreported income in the taxable years in the amounts determined by respondent; whether any part of any underpayment of tax for any such year was due to fraud; and whether the assessment and collection of deficiencies for 1961 is barred by the statutory period of limitations.

Findings of Fact

The stipulation of facts and the exhibits attached thereto are incorporated by reference.

The petitioner was a resident of Yakima, Washington during the years 1961 through 1964 and at the time the petition was filed. She filed individual Federal income tax returns for such calendar years and on the cash basis with the district director of internal revenue at Tacoma, Washington.

Petitioner was born in Bridger, Montana, in 1907. She was one of seven children. Her maiden name was Korinko. Her father was a coal miner, her mother a housewife. She had an eighth grade education. In 1925 she married Angelo Rogers, a carpenter employed at Pasco, Washington. They were divorced in 1934. Petitioner married Clyde Ruark in 1934. Ruark worked in a cannery, did trucking and operated a farm near Washburn, Missouri. Petitioner worked on the farm. Ruark and petitioner moved *249 to the State of Washington in about 1938. Petitioner there worked as a cook or in a cannery or in fields. In 1940 Ruark was injured and suffered a physical disability. He received a disability pension of $99.19 per month from the State of Washington. Petitioner and Ruark were divorced in 1949.

In the divorce proceeding Ruark alleged that petitioner had possession of the home, furniture, automobile and cash in an amount exceeding $20,000; that this was community property; and that she had withdrawn cash from banks in Yakima and had secreted the money.

Petitioner married Albert Schaufler in 1950. She left him after about one year, 266 and secured a divorce from him in 1960. She was employed from 1952 to 1959 as a cook, waitress or cannery worker at wages of less than $3,000 each year.

Petitioner bought a restaurant on Front Street in Yakima in 1959 and has operated it through the taxable years under the name of "Mary's Cafe." It is near a railroad station and several fruit packing plants. Petitioner's customers include transient or migratory workers employed in the orchards or farms near Yakima. She owned a pickup truck and provided transportation for a number of laborers from the cafe *250 to the fields during the months when such labor was wanted, from about March to October.

Petitioner lived in a small four-room house she acquired in 1948 at a cost of $1,500. The house was heated by a wood-burning stove. At one time she rented part of the house to a tenant for $35 per month.

Petitioner opened savings accounts at various times at different banks and savings or loan companies.

Petitioner had an account with the Seattle First National Bank, Yakima Valley Branch, account No. X2684, in the name of Mary E. Ruark. This account was opened in 1950 with a deposit of $8,900. It was transferred to dormant status in December 1963 and until after 1964.

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Bluebook (online)
1969 T.C. Memo. 48, 28 T.C.M. 265, 1969 Tax Ct. Memo LEXIS 247, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ruark-v-commr-tax-1969.