Terzian v. Commissioner

72 T.C. 1164, 1979 U.S. Tax Ct. LEXIS 50
CourtUnited States Tax Court
DecidedSeptember 25, 1979
DocketDocket No. 5861-77
StatusPublished
Cited by161 cases

This text of 72 T.C. 1164 (Terzian v. Commissioner) 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
Terzian v. Commissioner, 72 T.C. 1164, 1979 U.S. Tax Ct. LEXIS 50 (tax 1979).

Opinion

Scott, Judge:

Respondent determined deficiencies in petitioner’s Federal income tax for the calendar years 1969, 1970, and 1971 in the amounts of $21,119.35, $31,142.19, and $36,883.04, respectively.

The only issue for decision is whether petitioner is an innocent spouse within the meaning of section 6013(e), I.R.C. 1954,1 so as to be relieved from liability for income taxes for the years in issue.

FINDINGS OF FACT

Margaret Terzian (petitioner) resided in Scotia, N.Y., at the time of the filing of her petition in this case. For the years 1965 through 1971, she filed joint Federal income tax returns with her husband, Peter Terzian, with the District Director of Internal Revenue, Albany, N.Y. Petitioner signed the 1971 return on March 3, 1972. No date appears after petitioner’s signature on the 1969 and 1970 returns. They were signed by her husband on March 22,1970, and March 11,1971, respectively.

Petitioner, who was 53 years old at the time of the trial of this case, married Peter Terzian on December 18,1948, in New York. Petitioner and her husband had four children, the youngest of whom was 19 at the time of the trial of this case. Peter Terzian had received his M.D. degree and was a physician prior to the time he and petitioner were married. During the years 1965 through 1971, petitioner’s husband, Dr. Terzian, was engaged in a private medical practice as an obstetrician and gynecologist in Scotia, N.Y. Petitioner received a B.S. degree in education and was a school teacher for 2 years prior to the time she and Dr. Terzian were married. She was not employed outside her home during the time they were married and was not so employed at the time of the trial of this case. At the time of the trial of this case, petitioner had a suit for divorce pending against Dr. Terzian. In this divorce proceeding, no claim for alimony was made.2

During the time petitioner and Dr. Terzian were married and living together, all financial affairs of the family were handled by Dr. Terzian. He paid all the bills and would leave some cash with petitioner for purchases of food and incidental items. The family home was in his name only.

Dr. Terzian was indicted on March 28, 1972, under section 7201, for willful attempt to evade income tax for the calendar year 1968. He was convicted of the charge in the United States District Court, Northern District of New York, upon a plea of guilty, on April 2,1973. On April 11, 1973, Dr. Terzian appealed to the United States Court of Appeals for the Second Circuit from the judgment entered on April 2, 1973, by the United States District Court for the Northern District of New York. On September 28, 1973, the United States Court of Appeals for the Second Circuit affirmed the judgment entered by the District Court. Dr. Terzian was sentenced on his conviction to 6 months in prison and to pay a fine of $5,000. After Dr. Terzian was released from prison, he resumed his medical practice for a short while. In 1974, Dr. Terzian left petitioner to reside elsewhere. At the time Dr. Terzian left petitioner, he gave her the bankbook of a joint bank account they had in Montreal, which contained approximately $155,000. He stated to her that this was hers and what she would have for herself. Later in 1974, Dr. Terzian returned and he and petitioner lived together until 1976 when he left again. However, the only amount which Dr. Terzian has given to petitioner is the $155,000 which he gave to her in 1974 when he left her the first time.

Respondent determined deficiencies in the income tax of petitioner and Dr. Terzian for the calendar years 1965, 1966, 1967, and 1968 and additions to tax under section 6653(b) for those years in the following amounts:

Deficiency Addition to tax Year in income tax sec. 6653(b)
1965 . $12,811.92 $6,405.96
1966 . 17,132.17 8,566.09
1967 . 17,436.82 8,718.41
1968 . 17,104.62 8,552.31

Dr. Terzian filed a petition in the United States Tax Court from this determination, T.C. docket No. 2101-74. On June 16, 1976, this Court entered an order of dismissal and decision in Dr. Terzian’s case for the years 1965 through 1968 in which it was ordered and decided that there were deficiencies in income tax and additions to tax in exactly the same amounts as determined in respondent’s notice of deficiency as heretofore set forth. The major adjustment in Dr. Terzian’s tax for the years 1965 through 1968 was the determination by respondent that Dr. Terzian had additional receipts from his medical practice in the following amounts:

Additional Additional
medical receipts Year medical receipts
$33,480.71 1965 . $30,273.14 CO S3
30,164.80 1966 . 32,735.07 CO 00

On November 8, 1973, Dr. Terzian addressed a letter to the Internal Revenue Service in which he stated that he had income for the calendar years 1969 through 1972 which was not reported on his tax returns in the following amounts:

Additional Year income Additional Year income
1969 . $46,372 1971 . $77,619
1970 . 65,438 1972 . 42,356

During the years 1970 and 1971, Dr. Terzian had the following bank accounts in which deposits were made as indicated:

Bank accounts Deposits
1970 1971
1. Schenectady Trust Co., account No. 63393641 . $38,647.94 $35,457.84
2. 60,183.34 Bank of Montreal, account No. T142262 . 35,938.40
3. 7,100.00 Schenectady Savings Bank, account No. 5001GG1 3,500.00
4. 7,100.00 Schenectady Savings Bank, account No. 5001GG2 3,766.56
5. 3,000.00 Schenectady Savings Bank, account No. 6002746 .
6. Fidelity Federal Savings & Loan Association of Glendale, account No. 111730 . 3,000.00
7. Fidelity Federal Savings & Loan Association of Glendale, account No. 111731 . 3,450.00
8. Schenectady Savings & Loan Association, account No. 34164 . 2,000.00
9. Schenectady Savings & Loan Association, account No. 67434 . 1,000.00 2,200.00
10. Total gross deposits . 2125,181.28 80,862.80

Some of Dr. Terzian’s accounts were joint accounts with petitioner. Petitioner never saw the bankbooks or passbooks for these accounts and, except for a joint checking account on which she occasionally wrote a check, knew of their existence only because Dr. Terzian would bring in a card opening a bank account and tell her to sign it.

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Bluebook (online)
72 T.C. 1164, 1979 U.S. Tax Ct. LEXIS 50, Counsel Stack Legal Research, https://law.counselstack.com/opinion/terzian-v-commissioner-tax-1979.