Stafford v. Commissioner

1983 T.C. Memo. 650, 47 T.C.M. 172, 1983 Tax Ct. Memo LEXIS 138
United States Tax Court·Decided October 25, 1983·No. Docket No. 17576-81.·Unpublished·Cited by 2 cases

Opinion

WARREN SAMUEL STAFFORD, JR., AND BARBARA JEAN STAFFORD, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Stafford v. Commissioner
Docket No. 17576-81.
United States Tax Court
T.C. Memo 1983-650; 1983 Tax Ct. Memo LEXIS 138; 47 T.C.M. (CCH) 172; T.C.M. (RIA) 83650;
October 25, 1983.
Warren Samuel Stafford, Jr., pro se.
Edward I. Kaplan, for the respondent.

PARKER

MEMORANDUM FINDINGS OF FACT AND OPINION

PARKER, Judge: Respondent determined a deficiency in petitioners' Federal income tax for the year 1977 in the amount of $167,079 and an addition to the tax under section 6653(a) 1 in the amount of $8,354. Respondent was later granted leave to amend his answer to the petition to assert an increased deficiency of $169,649*139 and an increased addition to the tax of $8,483, such increases being attributable to unreported income allegedly received by petitioner Barbara Jean Stafford for services rendered to American Way Mobile and Modular Homes, a partnership in which petitioner Warren Samuel Stafford, Jr., held a 50 percent interest.

The issues for decision in this case involve (1) substantiation of cost of goods sold, interest expense, contract labor expense, and miscellaneous expenses claimed by the partnership, American Way Mobile and Modular Homes, (2) the imposition of the negligence addition under section 6653(a), and (3) certain alleged unreported income of petitioner Barbara Jean Stafford.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The two stipulations of fact and exhibits attached thereto are incorporated herein by this reference. 2

*140 Petitioners resided in Citrus Heights, California at the time their petition was filed in this case. Petitioners timely filed a joint Federal income tax return (Form 1044) for the taxable year 1977, listing the husband's occupation as a mobile home dealer and the wife's occupation as a homemaker. Other than a small amount of capital gains, the only income reported on that return was $11,181 from the partnership, American Way Mobile and Modular Homes ("American Way"). Petitioner Warren Samuel Stafford, Jr. ("Mr. Stafford") was a partner in American Way, he and his half-brother each owning a 50 percent interest. The partnership's From 1065, U.S. Partnership Return of Income, for 1977 was signed by Mr. Stafford. That Form 1065 listed gross receipts from the mobile home business of $579,589 and claimed, among other things, cost of goods sold and various expenses as follows:

Cost of goods sold$463,085
Interest16,991
Contract labor27,324
Miscellaneous expenses2,744

During the audit of the partnership return, Mr. Stafford failed or refused to furnish any books or records or other documentation to substantiate any of the items on the Form 1065, including*141 cost of goods sold, interest, contract labor, and miscellaneous expenses. During at least one meeting with one of the revenue agents conducting the audit, Mr. Stafford appeared with what he indicated were the partnership records but he refused to permit the records to be examined. Instead Mr. Stafford claimed the Fifth Amendment and demanded a grant of immunity. The audit in this case was conducted by revenue agents, not by special agents, and the record does not indicate that any criminal tax investigation was ever instituted or contemplated. In the absence of any substantiation, the revenue agents disallowed all deductions, including cost of goods sold, claimed on the Form 1065 and computed Mr. Stafford's income from American Way based on the gross receipts and other income reported by the partnership. In the notice of deficiency, dated April 9, 1981, Mr. Stafford's distributive share from American Way was thus increased by $282,975. 3

*142 Petitioners timely filed their petition in this case. The petition is what is sometimes referred to as a tax protester-type petition. The petition did not state assignments of error and did not contain statements of facts on which petitioners based any assignments of error, as required by Rule 34(b)(4) and (5), Tax Court Rules of Practice and Procedure. Instead the petition asserts Fifth Amendment claims, demands a grant of immunity, and has attached thereto a packet of protester materials, including various excerpts from judicial opinions, newspaper clippings, and other writings. Respondent instituted various discovery measures in this Court, and in response to the Court's orders, petitioners furnished various books, records, and documents to respondent's counsel. Based upon the information thus furnished, at trial respondent made the following concessions. 4

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Stafford v. Commissioner, 1983 T.C. Memo. 650, 47 T.C.M. 172, 1983 Tax Ct. Memo LEXIS 138 (tax 1983).

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