Tribin v. Comm'r

2010 T.C. Memo. 224, 100 T.C.M. 331, 2010 Tax Ct. Memo LEXIS 258
CourtUnited States Tax Court
DecidedOctober 14, 2010
DocketDocket No. 3714-09.
StatusUnpublished

This text of 2010 T.C. Memo. 224 (Tribin v. Comm'r) 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
Tribin v. Comm'r, 2010 T.C. Memo. 224, 100 T.C.M. 331, 2010 Tax Ct. Memo LEXIS 258 (tax 2010).

Opinion

YURY LILIANA TRIBIN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Tribin v. Comm'r
Docket No. 3714-09.
United States Tax Court
T.C. Memo 2010-224; 2010 Tax Ct. Memo LEXIS 258; 100 T.C.M. (CCH) 331;
October 14, 2010, Filed
*258

Decision will be entered under Rule 155.

Using the bank deposits method, R determined deficiencies in Federal income tax for P's 2002, 2003 and 2004 tax years.

Held: Bank deposits representing cash receipts from P's sister that P used to make payments on a car loan on her sister's behalf are not includable in P's income. The remaining unexplained bank deposits are includable in P's taxable income.

Yury Liliana Tribin, Pro se.
Timothy L. Smith, for respondent.
WHERRY, Judge.

WHERRY
MEMORANDUM FINDINGS OF FACT AND OPINION

WHERRY, Judge: This case is before the Court on a petition for redetermination of alleged deficiencies in petitioner's income tax for 2002, 2003 and 2004 tax years. Respondent determined that petitioner is liable for Federal income tax deficiencies of $2,146, $8,301, and $8,096 for her 2002, 2003, and 2004 tax years, respectively. 1 After concessions by both respondent and petitioner, 2*259 the only issue remaining for decision is whether various unidentified cash deposits are includable in petitioner's income for her 2002, 2003, and 2004 tax years.

FINDINGS OF FACT

Some of the facts have been stipulated, and the stipulation of settled issues, the stipulated facts, and the accompanying exhibits are hereby incorporated by this reference. At the time she filed her petition, petitioner resided in Florida.

Petitioner was an independent contractor of Closets and Closets, Inc., during the 2002, 2003, and 2004 tax years. Closets and Closets, Inc., specialized in the redesigning of closets and paid petitioner commissions on sales of closet designs. Petitioner reported income on Forms 1040, U.S. Individual Income Tax Return, for the 2002, 2003 and 2004 tax years.

Petitioner moved to the United States only 2 years before the tax years at issue and was raising three children on her own. During *260 the tax years at issue petitioner opened her home to a number of her relatives who periodically stayed with her. For example, petitioner's ex-husband's sister-in-law, Beatriz Agudelo (Ms. Agudelo), lived in petitioner's home while she was pregnant because she wanted to give birth in the United States.

Twice during 2002 petitioner's sister from Colombia, Claudia Tribin-Mora (Ms. Tribin-Mora), stayed with petitioner. On her second visit in November of 2002 Ms. Tribin-Mora advanced $5,000 to petitioner. Sometime during February or March of 2003 Ms. Tribin-Mora decided to purchase a car. Since Ms. Tribin-Mora lacked a valid U.S. Social Security number, petitioner purchased the car and obtained the loan in her own name on Ms. Tribin-Mora's behalf. As repayment of the $5,000 advance received from Ms. Tribin-Mora, petitioner made payments on the car loan until Ms. Tribin-Mora secured a job. Once Ms. Tribin-Mora secured employment, she gave petitioner cash each month to make that month's car loan payment and petitioner transferred the money to the automobile finance company by writing a check.

During the 2002, 2003, and 2004 tax years petitioner maintained two checking accounts at Washington *261 Mutual Bank. She also maintained a checking account at Dade County Federal Credit Union during the last part of 2002 and 2003.

Respondent determined that petitioner failed to maintain or submit for examination complete and adequate books and accounts of her income-producing activities for 2002, 2003, and 2004. Respondent reconstructed petitioner's income by analyzing petitioner's bank deposits in her three checking accounts. Respondent determined that petitioner had total bank deposits of $61,196, $111,043, and $65,564 for 2002, 2003, and 2004, respectively. Respondent then reduced those amounts by the identifiable deposits reported in income, nontaxable deposits, and transfers for each of 2002, 2003, and 2004. After concessions, unidentified taxable deposits of $11,656, $15,619, and $16,087 for the 2002, 2003, and 2004 tax years, respectively, remain at issue.

Respondent issued a notice of deficiency on November 14, 2008, determining alleged income tax deficiencies of $2,146, $8,301, and $8,096 for the 2002, 2003, and 2004 tax years. Petitioner filed a timely petition with this Court on February 18, 2009, denying that she owes the deficiencies. A trial was held on January 12, 2010, *262 in Miami, Florida.

OPINIONI. Burden of Proof

Section 61(a) specifies that "Except as otherwise provided", gross income includes "all income from whatever source derived". 3The Commissioner's determination of a taxpayer's liability for an income tax deficiency is generally presumed correct, and the taxpayer bears the burden of proving that the determination is improper. See Rule 142 (a); Welch v. Helvering, 290 U.S. 111

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Bluebook (online)
2010 T.C. Memo. 224, 100 T.C.M. 331, 2010 Tax Ct. Memo LEXIS 258, Counsel Stack Legal Research, https://law.counselstack.com/opinion/tribin-v-commr-tax-2010.