Twist v. Commissioner

1986 T.C. Memo. 497, 52 T.C.M. 719, 1986 Tax Ct. Memo LEXIS 110
United States Tax Court·Decided September 30, 1986·No. Docket No. 19035-85.·Unpublished

Opinion

ROBERT TWIST, SR., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Twist v. Commissioner
Docket No. 19035-85.
United States Tax Court
T.C. Memo 1986-497; 1986 Tax Ct. Memo LEXIS 110; 52 T.C.M. (CCH) 719; T.C.M. (RIA) 86497;
September 30, 1986.

*110Held, the affirmative allegations in R's answer were deemed admitted under Rule 37(c), Tax Court Rules of Practice and Procedure. Such allegations deemed admitted are sufficient to sustain deficiencies for the taxable years 1978 through 1980 against petitioner. Held further, the allegations deemed admitted are sufficient to satisfy R's burden of proving fraud under sec. 6653(b) with respect to the taxable years 1978 through 1980. Doncaster v. Commissioner,77 T.C. 334 (1981), followed.

Robert Twist, Sr., pro se.
Will E. McLeod and William V. Spatz, for the respondent.

FEATHERSTON

MEMORANDUM FINDINGS OF FACT*111 AND OPINION

FEATHERSTON, Judge: This case was assigned to Special Trial Judge Peter J. Panuthos for the purpose of hearing, consideration, and ruling on respondent's Motion for Summary Judgment filed herein. 1 After a review of the record, we agree with and adopt his opinion which is set forth below.

OPINION OF THE SPECIAL TRIAL JUDGE

PANUTHOS, Special Trial Judge: This case is before the Court on respondent's Motion for Summary Judgment filed on August 13, 1986, pursuant to Rule 121, Tax Court Rules of Practice and Procedure.2

In his notice of deficiency respondent determined deficiencies and additions to tax for the taxable years 1978 through 1980 as follows:

Additions to tax
YearIncome Taxunder section 6653(b)
1978$180,007$90,004
19791,326,754663,377
198073,97336,987

*112 The adjustments to income determined by respondent are that petitioner had unreported taxable income for the taxable years 1978 and 1979 in the amounts of $290,032 and $1,926,100. The basis for respondent's determination was that in the absence of adequate records respondent reconstructed income by use of the net worth method for the two years involved. With respect to the taxable year 1980, respondent determined that petitioner received interest income from Bahamian bank accounts in the amount of $133,180.

At the time of filing his petition herein, petitioner's legal residence was at Fort Lauderdale, Florida.

PROCEDURAL BACKGROUND

After issuance of the notice of deficiency dated April 15, 1985, a timely petition was filed on June 19, 1985. Respondent's answer was filed on September 27, 1985. 3 In his answer, respondent makes affirmative allegations with respect to the addition to tax under section 6653(b) for the taxable years 1978 through 1980. No reply having been filed, respondent's Motion for Entry of Order that Undenied Allegations in Answer Be Deemed Admitted was filed on December 24, 1985. 4 On December 27, 1985, counsel for petitioner was served with a Notice*113 of Filing of Motion for Order under Rule 37 and petitioner was given until January 16, 1986 in which to file a reply. The notice also stated that "if petitioner does not file a reply as directed herein, the Court will grant respondent's motion and deem admitted for purposes of this case the affirmative allegations in the answer." Since no reply was filed, the Court, on January 28, 1986, ordered that the affirmative allegations of facts set forth in paragraphs 7, 8, and 9 of respondent's answer were deemed admitted for purposes of this case.

On August 13, 1986, respondent's Motion for Summary Judgment was filed. By notice dated August 18, 1986, a copy of respondent's motion was served by the Court on counsel for petitioner. Petitioner was further advised that a hearing on respondent's motion was scheduled for September 10, 1986 at the Motions Session of the Court in Washington, D.C. Petitioner was further advised of the provisions of Rule 50(c) allowing

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Twist v. Commissioner, 1986 T.C. Memo. 497, 52 T.C.M. 719, 1986 Tax Ct. Memo LEXIS 110 (tax 1986).

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