Truesdell v. Comm'r

89 T.C. No. 88, 89 T.C. 1280, 1987 U.S. Tax Ct. LEXIS 180
CourtUnited States Tax Court
DecidedDecember 30, 1987
DocketDocket Nos. 28176-84, 28177-84
StatusPublished
Cited by175 cases

This text of 89 T.C. No. 88 (Truesdell 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
Truesdell v. Comm'r, 89 T.C. No. 88, 89 T.C. 1280, 1987 U.S. Tax Ct. LEXIS 180 (tax 1987).

Opinion

NlMS, Judge:

In his statutory notices of deficiency, respondent determined the following deficiencies in petitioners’ income tax and additions to tax for the following taxable years:

Additions to tax
Year Deficiency sec. 6653(b) 1
1977 $4,736.25 $2,368.13
1978 8,472.54 4,236.27
1979 26,678.44 13,339.22

In his amended answers respondent redetermined deficiencies in petitioners’ income tax and additions to tax for the 1977 and 1978 taxable years as follows:

Additions to tax
Year Deficiency sec. 6653(b)
1977 $6,424.09 $3,212.05
1978 18,969.90 9,484.95

Respondent’s redetermination increased the deficiencies for 1977 and 1978 in the amounts of $1,687.84 and $10,497.36, respectively, and increased additions to tax for those years in the respective amounts of $843.92 and $5,248.68.

Respondent has conceded that the deficiency for the taxable year 1979 is $18,925.18 and asserts that the addition to tax for that year is $9,462.59. This concession decreases the deficiency by $7,753.26 and the addition to tax by $3,876.63 for the taxable year 1979.

Petitioner James Truesdell filed a Federal income tax return for the taxable year 1977 listing himself as an unmarried head of household. Petitioners James and Linda Truesdell filed joint Federal income tax returns for the taxable years 1978 and 1979. Hereinafter James Truesdell will be referred to as petitioner, and Linda Truesdell will be referred to as Linda.

Respondent issued a statutory notice of deficiency to petitioner for the taxable year 1977 and a statutory notice of deficiency to petitioner and Linda for the taxable years 1978 and 1979. These cases have been consolidated for the purposes of trial, briefing, and opinion.

Linda did not appear at trial in person, nor was she represented by counsel. Accordingly, this Court will grant respondent’s oral motion to dismiss the case as to Linda for failure to properly prosecute and to establish the deficiency due from her at the amount due from petitioner for the taxable years 1978 and 1979. An order will be issued to reflect the granting of this motion. Respondent has conceded that Linda is not liable for additions to tax under section 6653(b).

After concessions, the issues for decision are: (1) Whether petitioner failed to report $22,231.86 in taxable income for the taxable year 1977; (2) whether petitioner and Linda failed to report $46,083.48 and $45,659.71 in taxable income for the taxable years 1978 and 1979, respectively; and (3) whether the resulting deficiencies are due to fraud.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts and attached exhibits are incorporated herein by this reference.

Petitioner and Linda were residents of California at the time the petitions in this case were filed.

During the taxable years 1977 and 1978, petitioner was the president and sole shareholder of Asphalt Patch Co., Inc. (hereinafter referred to as Asphalt Patch). The corporation filed Federal income tax returns for the taxable years ending March 31, 1978, and March 31, 1979. Asphalt Patch ceased operating in 1979

On January 1, 1979, Jim T. Enterprises, Inc. (hereinafter referred to as Jim T. Enterprises), was incorporated. Petitioner’s son, Robert Truesdell (hereinafter referred to as Robert), was named president of the corporation. In 1979 Robert was the sole shareholder of Jim T. Enterprises. Robert was 17 years old in 1979 and was claimed as a dependent on petitioners’ income tax return for that year. Petitioner has conceded that although Robert was the record shareholder of Jim T. Enterprises, petitioner was actually the sole shareholder of the corporation.

Petitioner purchased two flower shops. One flower shop, known as Flowers By Eleanor, was purchased, as an ongoing business, from Eleanor Humphrey on December 1, 1978. Title was taken in the name of Asphalt Patch. However, no mention of the ownership of this flower shop appears on the corporation’s Federal income tax returns or on its books.

The second shop, Jim T. Florist & Photographic Shoppe, was established in a building owned by Vern Forbes on San Bernadino Road in Covina, California. With petitioner’s knowledge, Kenneth Peterson filed a fictitious business name statement stating that Jim T. Florist & Photographic Shoppe located on San Bernadino Road was a general partnership owned by petitioner and Kenneth Peterson, Sr. Petitioner and Peterson applied to subscribe to the American Floral Service as owners of Jim T. Florist & Photographic Shoppe. Petitioner and Peterson in their individual capacities both signed an application for membership in Teleflora.

Jim T. Florist & Photographic Shoppe conducted business in 1978. During that period, expenses for the shop totaled $22,900. Sales from the shop as listed in sales journals presented to Revenue Agent Joseph R. Coscarelli totaled $12,963.

Petitioner was corporate secretary and general manager of Jim T. Enterprises. Jim T. Enterprises filed a Federal income tax return for the calendar year 1979.

Asphalt Patch engaged in three lines of business: asphalt bagging, trucking or hauling, and installing. asphalt paving. Jim T. Enterprises engaged in the same three lines of business.

Petitioner directed and controlled the activities of Asphalt Patch and Jim T. Enterprises. Petitioner and his son were the only persons authorized to sign corporate checks. Petitioner authorized all corporate bank deposits.

Petitioner arranged all the deliveries of bagged asphalt and supervised the recording and billing of bagged asphalt sales for both corporations. Checks received in payment for bagged asphalt sales were placed on petitioner’s desk.

Petitioner also managed all the trucking work, keeping all the records relating to the trucking aspects of the business of the corporations and handling all the billing for trucking work. All checks received in payment for trucking work were placed on petitioner’s desk.

The asphalt bagging business was the primary business of both corporations. Purchasers who contracted for large quantities of bagged asphalt used charge accounts. An order for bagged asphalt was written on an invoice that was later sent as a bill to the customer. Payments received for bagged asphalt were recorded in a ledger book by invoice number, number of bags sold, and amount of payment received.

Some of the invoices were numbered, and some were not. Customers who purchased bagged asphalt “off the street” would pay cash and take the materials with them. “Off the street” purchases were recorded on unnumbered invoices. Unnumbered invoices were placed on petitioner’s desk.

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Cite This Page — Counsel Stack

Bluebook (online)
89 T.C. No. 88, 89 T.C. 1280, 1987 U.S. Tax Ct. LEXIS 180, Counsel Stack Legal Research, https://law.counselstack.com/opinion/truesdell-v-commr-tax-1987.