Russo v. Commissioner

1992 T.C. Memo. 104, 63 T.C.M. 2143, 1992 Tax Ct. Memo LEXIS 103
Procedural entryThis page is a short order in Russo v. Commissioner. Read the opinion of the Court — 98 T.C. 28
United States Tax Court·Decided February 20, 1992·No. Docket No. 18666-89·Unpublished

Opinion

ANGELO RUSSO AND JENNIE RUSSO, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Russo v. Commissioner
Docket No. 18666-89
United States Tax Court
T.C. Memo 1992-104; 1992 Tax Ct. Memo LEXIS 103; 63 T.C.M. (CCH) 2143; T.C.M. (RIA) 92104;
February 20, 1992, Filed

*103 Decision will be entered under Rule 155.

R. Cody Mayo, Jr., for petitioners.
Mary Beth Calkins, for respondent.
SHIELDS

SHIELDS

MEMORANDUM FINDINGS OF FACT AND OPINION

SHIELDS, Judge: In a notice of deficiency dated April 13, 1989, respondent determined deficiencies in and additions to petitioners' Federal income taxes as follows:

Additions to tax
Sec.Sec.Sec.Sec.
YearDeficiency6653(b)(1)6653(b)(2)6653(b)(1)(A)6653(b)(1)(B)
1984$ 476,559.85$ 238,279.231--   --
1985526,127.71263,063.86--   --
1986546,746.70--   --$ 410,060.03
Additions to tax
YearSec. 6661
1984$ 119,139.96
1985131,531.93
1986136,686.68

The issues for decision are: (1) Whether a presumption of correctness applies to respondent's determination in the notice of deficiency*104 that petitioners understated their gross income for each of the years 1984, 1985, and 1986, and, if so, whether petitioners have presented sufficient evidence to overcome that presumption; (2) whether petitioners realized unreported income as determined by respondent for the years 1984, 1985, and 1986; (3) whether petitioners are liable for additions to tax under section 6653(b)2 for fraud; and (4) whether petitioners are liable for additions to tax under section 6661(a) for underpayments of tax attributable to substantial understatements.

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 reference.

Petitioners, Angelo and Jennie Russo, resided in Shreveport, Louisiana, when they filed their petition in this*105 case. They filed joint income tax returns for the years 1984, 1985, and 1986 with the Internal Revenue Service Center in Austin, Texas.

Angelo Russo (hereinafter referred to sometimes as petitioner) was born in Connecticut in 1924 and graduated from high school there. He moved to Shreveport in 1951, purchased A & J Grocery (A & J) the following year, and together with his wife operated that business until 1977 when he sold the grocery operation to Pete Terracini but kept the land and building used in the business. He leased the land and building to Mr. Terracini. After his graduation from high school in 1975, petitioners' son, Charles Russo, also worked part time at A & J until the sale to Mr. Terracini in 1977.

While operating the A & J grocery business, Angelo Russo applied to the U.S. Department of Agriculture for, and was granted, authorization to participate in the food stamp program funded by that Department. That program provides food stamp coupons to qualified recipients who are entitled to use the coupons like cash to make purchases of certain food items from approved grocers.

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Russo v. Commissioner, 1992 T.C. Memo. 104, 63 T.C.M. 2143, 1992 Tax Ct. Memo LEXIS 103 (tax 1992).

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