Turnipseed v. Commissioner
This text of 1985 T.C. Memo. 335 (Turnipseed 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.
Opinion
MEMORANDUM FINDINGS OF FACT AND OPINION
HAMBLEN,
| Pernelle Ray Turnipseed | |||
| Internal Revenue Code of 1954 | |||
| Year | Deficiency | Sec. 6651(a) 1 | Sec. 6653(a) |
| 1977 | $347,544 | $86,886 | $17,377 |
| 1978 | 464,150 | 116,038 | 23,207 |
| 1979 | 219,071 | 54,767 | 10,954 |
| Bertha Jane Turnipseed | |||
| Internal Revenue Code of 1954 | |||
| Year | Deficiency | Sec. 6651(a) | Sec. 6653(a) |
| 1977 | $712,582 | $178,146 | $35,629 |
| 1978 | 945,923 | 236,481 | 47,296 |
| 1979 | 457,335 | 114,334 | 22,867 |
After concessions, 2 the two issues remaining for decision in these consolidated cases are (1) whether the income received by Bertha Jane Turnipseed, 3 a Puyallup Indian, from the operation of two smokeshops on trust land is exempt from Federal income taxation; and (2) whether income from the sale of such a smokeshop is exempt from Federal income taxation.
FINDINGS OF FACT
All of the facts have been stipulated and are found accordingly.The stipulation of facts and attached*299 exhibits are incorporated herein by this reference.
Petitioner resided in Tacoma, Washington, at the commencement of this case and did not file U.S. individual income tax returns for the years 1977, 1978, and 1979.
Petitioner is an enrolled member of the Puyallup Indian Nation; as such, she is a noncompetent Indian in that the United States holds title to her land in trust under the Indian Reorganization Act of 1934, 48 Stat. 984,
Petitioner operated two retail smokeshops for the sale of cigarettes and related products. One smokeshop was located in Tacoma, Washington, within the boundaries of the Puyallup Indian Reservation ("Tacoma smokeshop").The Tacoma smokeshop was located on unalloted trust property which was held by the United States in trust for the benefit of petitioner. The Puyallup Indian Tribe is a party to the Medicine Creek Treaty of 1854 ("Treaty of Medicine Creek"), 10 Stat. 1132.
Petitioner's other smokeshop was located in Hollywood, Florida, within the boundaries of the Seminole Indian Reservation ("Florida smokeshop"). For all periods relevant to this litigation, the land where the Florida smokeshop was located*300 was held by the United States in trust for the Seminole tribe. Petitioner leased the Florida smokeshop land from a member of the Seminole tribe.
Petitioner had the following net income in the years in issue:
| Tacoma Smokeshop | Florida Smokeshop | |
| Year | Income (Loss) | Income |
| 1977 | (24,505) | $569,251 |
| 1978 | 53,056 | 574,830 |
Free access — add to your briefcase to read the full text and ask questions with AI RelatedChoteau v. Burnet 283 U.S. 691 (Supreme Court, 1931) Superintendent of Five Civilized Tribes v. Commissioner 295 U.S. 418 (Supreme Court, 1935) Squire v. Capoeman 351 U.S. 1 (Supreme Court, 1956) Commissioner of Internal Revenue v. Freeman P. Walker and Bernice Walker 326 F.2d 261 (Ninth Circuit, 1964) United States v. Joseph Daney and Bertha Daney 370 F.2d 791 (Tenth Circuit, 1966) Roger A. Jourdain and Margaret E. Jourdain v. Commissioner of Internal Revenue 617 F.2d 507 (Eighth Circuit, 1980) United States v. George Anderson 625 F.2d 910 (Ninth Circuit, 1980) William H. Hoptowit v. Commissioner of Internal Revenue 709 F.2d 564 (Ninth Circuit, 1983) Harry H. Karmun and Alice G. Karmun v. Commissioner of Internal Revenue 749 F.2d 567 (Ninth Circuit, 1984) Jourdain v. Commissioner 71 T.C. 980 (U.S. Tax Court, 1979) Hoptowit v. Commissioner 78 T.C. No. 9 (U.S. Tax Court, 1982) Karmun v. Commissioner 82 T.C. No. 18 (U.S. Tax Court, 1984) Cross v. Commissioner 83 T.C. No. 29 (U.S. Tax Court, 1984) Eagle v. United States 300 F.2d 765 (Court of Claims, 1962) Stevens v. Commissioner 452 F.2d 741 (Ninth Circuit, 1971)
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