Thomas v. Commissioner

1973 T.C. Memo. 105, 32 T.C.M. 470, 1973 Tax Ct. Memo LEXIS 179
CourtUnited States Tax Court
DecidedMay 7, 1973
DocketDocket No. 5971-70.
StatusUnpublished

This text of 1973 T.C. Memo. 105 (Thomas 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
Thomas v. Commissioner, 1973 T.C. Memo. 105, 32 T.C.M. 470, 1973 Tax Ct. Memo LEXIS 179 (tax 1973).

Opinion

ELLIOT E. THOMAS, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Thomas v. Commissioner
Docket No. 5971-70.
United States Tax Court
T.C. Memo 1973-105; 1973 Tax Ct. Memo LEXIS 179; 32 T.C.M. (CCH) 470; T.C.M. (RIA) 73105;
May 7, 1973, Filed

*179 Held: (1) The petitioner has not explained the source of $8,878.28 of bank deposits; and

(2) The petitioner is liable for an addition to tax under sec. 6653(a), I.R.C. 1954.

Elliot E. Thomas, pro se.
Frank C. Hider, Jr., for the respondent.

SIMPSON

MEMORANDUM FINDINGS OF FACT AND OPINION

SIMPSON, Judge: The respondent determined a deficiency of $1,532.01 in the petitioner's 1965 Federal 2 income tax, and an addition to tax under section 6653(a) of the Internal Revenue Code of 19541 in the amount of $76.60. The issues for decision are: (1) Whether the petitioner has explained the source of $8,878.28 of bank deposits which he made in 1965, and (2) whether he is liable for an addition to tax under section 6653(a).

*180 FINDINGS OF FACT

Some of the facts were stipulated, and those facts are so found.

The petitioner, Elliot E. Thomas, maintained his residence in Miramar, Florida, at the time the petition was filed in this case. He filed his 1965 individual Federal income tax return with the district director of internal revenue, Baltimore, Maryland.

From 1960 through 1970, the petitioner's principal business activity was the selling of coins at retail. He purchased, exchanged, and traded coins, which he then ususally sold at a profit. He used the money obtained from such sales to cover his travel and living expenses. During 1963, 1964, and 1965, when his coin business was most 3 substantial, the petitioner reported gross income of $1,460, $1,420, and $1,700, respectively.

On December 10, 1964, the petitioner deposited $2,000.00 to his personal checking account at the Riggs National Bank of Washington, D.C., and at the beginning of 1965, the balance in such account was $2,158.68. During the first 11 months of 1965, he made no additional deposits, and he drew 31 checks on the account in the total amount of $2,056.25. On December 10, 1965, he made a deposit of $568.28 in such account.

*181 On May 10, 1965, the petitioner deposited $310.00 to his individual savings account at the First National Bank of Washington. The amount so deposited does not correspond to any amount withdrawn from his checking account at the Riggs National Bank.

As part of an illegal check scheme, the petitioner, on May 21, 1965, opened a checking account at the Suburban Trust Company, Hyattsville, Maryland. The account was in the fictitious business name of the National Payroll and Audit Service Systems (Payroll), and the petitioner used the fictitious name of John P. Ayres to draft and sign checks upon this account. He made a total of $8,000.00 of deposits to such account as follows: $1,000.00 on May 21, 1965; $4,000.00 on June 3, 1965; 4 $1,600.00 on September 28, 1965; and $1,400.00 on October 1, 1965. None of the deposits corresponded to any amount withdrawn from the petitioner's personal checking account. On October 4, 1965, the petitioner, using the fictitious name of John P. Ayres, withdrew the amounts which he had previously deposited.

Between October 4, 1965, and October 18, 1965, checks in the total amount of $505,103.53, which had been drawn on the Business Managers Account*182 of American University at the First National Bank of Washington, were deposited to the Payroll account. On October 19, 1965, and October 22, 1965, the petitioner withdrew $497,000.00 from the Payroll account by checks, which were signed "John P. Ayres" and were payable to the Foreign Commerce Bank of Zurich, Switzerland.

The petitioner and an accomplice traveled to Zurich, Switzerland, where they were arrested on October 28, 1965, when they attempted to collect the $497,000.00, which had been withdrawn from the Payroll account on October 19, 1965, and October 22, 1965. The petitioner entered a plea of guilty to a Federal charge of interstate transportation of a forged check, and he was subsequently convicted and sentenced to 3 years' probation. Portions of the $8,000.00 which the petitioner withdrew from the 5 Payroll account on October 4, 1965, were used to pay for his and his accomplice's trip to Switzerland and to pay the legal fees that the petitioner incurred with respect to the Federal charge to which he pled guilty.

On his 1965 Federal income tax return, the petitioner's reported income of $1,700.00 consisted of $950.00 in wages and $750.00 in profits and his coin*183 sales. On schedule C of his return (Profit (or Loss) from Business or Profession), the petitioner listed gross sales of $750.00 and no cost of goods sold or other business deductions. In his notice of deficiency, the respondent determined that the wages of $950.00 and business profits of $750.00 should be eliminated from the petitioner's adjusted gross income and that such income should be computed on the basis of specific bank deposits in the amount of $8,878.28. Such deposits included the $8,000.00 deposited to the Payroll account from May 21, 1965 through October 1, 1965; the $310.00 deposited on May 10, 1965, to the petitioner's savings account; and the $568.28 deposited on December 10, 1965, to the petitioner's personal checking account.

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1973 T.C. Memo. 105, 32 T.C.M. 470, 1973 Tax Ct. Memo LEXIS 179, Counsel Stack Legal Research, https://law.counselstack.com/opinion/thomas-v-commissioner-tax-1973.