Snyder v. Commissioner

1983 T.C. Memo. 751, 47 T.C.M. 667, 1983 Tax Ct. Memo LEXIS 41
Procedural entryThis page is a short order in Snyder v. Commissioner. Read the opinion of the Court — 86 T.C. 567
United States Tax Court·Decided December 15, 1983·No. Docket No. 13518-82.·Unpublished

Opinion

EVELYN LEWIS SNYDER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Snyder v. Commissioner
Docket No. 13518-82.
United States Tax Court
T.C. Memo 1983-751; 1983 Tax Ct. Memo LEXIS 41; 47 T.C.M. (CCH) 667; T.C.M. (RIA) 83751;
December 15, 1983.
William J. Rubin, for the petitioner.
Elizabeth S. Henn, for the respondent.

TANNENWALD

MEMORANDUM FINDINGS OF FACT AND OPINION

TANNENWALD, Judge: Respondent determined a deficiency of $73,089 in petitioner's 1978 Federal income tax. The issues for decision are (1) whether petitioner filed a joint return with her husband even though she refused to sign the return and (2) if petitioner filed a joint return, whether she is relieved of tax liability pursuant to the innocent spouse rules of section 6013(e). 1

*42 FINDINGS OF FACT

Some of the facts have been stipulated and are found accordingly.

Petitioner resided in baltimore, Md., when she filed her petition herein.

Alvin Snyder (Alvin) and petitioner were married in 1949; Alvin moved out of the family residence in October 1979, several months after petitioner instituted an action for divorce. For the years 1949 through 1977, Alvin and petitioner intended to and did file joint Federal and state income tax returns; these returns were signed by both Alvin and petitioner.

During the period Alvin and petitioner lived together, Alvin was involved in numerous business ventures, including, inter alia, serving as president and chairman of the board of a savings and loan association, holding and developing real estate, and practicing law (prior to his disbarment in 1975). 2 Petitioner's knowledge of Alvin's business ventures was extremely limited; when she asked Alvin about his ventures, she was told in no uncertain terms that it was none of her business.

*43 Petitioner was employed during the first five years of her marriage to Alvin and her earned income was reported on the Snyders' joint returns. The relatively small amounts of unearned income received by petitioner on her personal savings accounts and investments were reported on the joint returns from 1949 to 1977 as well.

Petitioner signed the joint returns for the years 1949 through 1977 without any real understanding of the returns' contents. She relied upon Alvin to file accurate returns and to pay any deficiencies. Alvin toook sole responsibility for dealing with respondent whenever the Snyders' joint returns were audited and never told petitioner the outcome of those audits.

Petitioner's marital relationship with Alvin was less than ideal. Alvin was subject to a "nervous condition" which made his behavior unpredictable; 3 for example, a particular statement might be calmly received by Alvin on one day and yet set off a "complete rage" the next day. Petitioner contemplated divorcing Alvin in 1966 and again in 1976. However, in each instance, Alvin made promises which induced petitioner not to file for divorce. Nevertheless, the marital relationship continued to*44 deteriorate.

In 1977, Alvin acquired a hotel in Atlantic City, N.J. Petitioner was very suspicious of Alvin's Atlantic City friends, who "carr[ied] guns" and "[h]ad bodyguards"; indeed, she suspected that if Alvin did not stay away from these people, it might jeopardize his attempt to get a pardon. See n. 2, supra. Petitioner's fears were exacerbated when Alvin's attorney in Atlantic City was murdered in what was described in the newspapers as the first post-legalized-gambling mafia hit. After petitioner expressed her concerns about Alvin's Atlantic City friends, Alvin spent far less time at home and far more time in Atlantic City.

Finally, petitioner decided that she had had enough and, on March 9, 1979, filed for divorce. 4 Alvin strongly objected to a divorce and, when petitioner refused to drop the suit, he tried to intimidate petitioner. Among other things, Alvin threatened to leave petitioner penniless and he entered the marital home late at night and harassed her by, inter alia, *45 making a great deal of noise, setting off alarms, and turning the furnace up above comfortable levels. Petitioner became so terrified of Alvin that she had friends stay in the house with her at night. These actions occurred prior to August 15, 1979.

After the divorce suit was filed, Alvin sought to have petitioner file a joint return with him for 1978. Petitioner refused to sign such return, because she had little knowledge of Alvin's financial affairs and did not want to subject herself to tax liability on Alvin's income. Alvin offered to hold petitioner harmless for any liability resulting from her signing the return but, in view of the existing animosity between petitioner and Alvin, petitioner did not find such a guarantee reassuring.

On August 15, 1979, Alvin filed the 1978 tax return at issue herein. The return was signed only by Alvin; it was not signed by petitioner or anyone purporting to act on her behalf. Attached thereto was*46 a document, signed by Alvin, which stated, inter alia, that "I am unable to procure my wife's signature (Evelyn Snyder) at this time because of marital difficulties." Petitioner did not file a separate tax return for 1978 because she did not believe she had sufficient income to require her to do so. No return filed by Alvin since that time has been signed by petitioner or anyone purporting to act on her behalf.

OPINION

We must first determine whether the return filed by Alvin was Alvin's and petitioner's joint return. Because we find that petitioner has proven that she did not file a joint return with Alvin, we need not address the second issue -- whether petitioner is absolved, under the innocent spouse exception of section 6013(e), from liability for the deficiency asserted herein.

The absence of petitioner's signature on the purported "joint" return is not conclusive evidence that petitioner did not file a joint return with Alvin.

Free access — add to your briefcase to read the full text and ask questions with AI

Snyder v. Commissioner, 1983 T.C. Memo. 751, 47 T.C.M. 667, 1983 Tax Ct. Memo LEXIS 41 (tax 1983).

1983 T.C. Memo. 751 (Snyder v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related