Vise v. Commissioner

31 T.C. 220, 1958 U.S. Tax Ct. LEXIS 50
CourtUnited States Tax Court
DecidedOctober 27, 1958
DocketDocket No. 59857
StatusPublished
Cited by33 cases

This text of 31 T.C. 220 (Vise 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
Vise v. Commissioner, 31 T.C. 220, 1958 U.S. Tax Ct. LEXIS 50 (tax 1958).

Opinion

Tietjens, Judge:

This proceeding involves deficiencies in income tax and additions thereto for the years and in the amounts set forth below.

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The issues for decision are: (1) Whether petitioners had unreported income for the years 1945 through 1951 as determined by respondent through the use of the net worth plus personal expenditures method; and (2) if so, whether any part of the resulting deficiencies was due to fraud with intent to evade tax.

Some of the facts were stipulated.

FINDINGS OF FACT.

The stipulated facts are so found, and are incorporated herein by this reference.

James K. Vise (hereinafter referred to as the petitioner) resided in Memphis, Tennessee, during all the years in issue. For the year 1945 he filed no Federal income tax return. For the years 1946 through 1948, he filed individual Federal income tax returns. For the years 1949 through 1951, he filed joint Federal income tax returns with his wife, Annie D. Vise, whom he married during 1949. All returns were filed with the collector of internal revenue for the district of Tennessee.

Petitioner was bom and raised in the town of Decaturville, Tennessee. He is a graduate of Columbia University located in New York City. He has served two terms as County Superintendent of Education for Decatur Comity, Tennessee, and one term as senator in the Tennessee State Legislature.

During the years in issue, petitioner realized substantial amounts of income from various sources, including a mercantile business, the purchase at discount of first and second mortgage notes secured by real estate, the collection of rents and interest, and investments in certain securities.

In 1944, petitioner’s former wife, Grace Vise, obtained an absolute divorce from petitioner by decree of the Chancery Court of Decatur County, Tennessee. In conjunction with that proceeding she alleged that petitioner owned, among other assets, the sum of $8,000 cash maintained in a safe-deposit box in the American National Bank of Nashville, and 8 bales of cotton held in a warehouse located at Jackson, Tennessee. In reply to those allegations, petitioner alleged that his net worth as of October 3, 1944, was $17,451.69, comprised in part of $8,000 cash in American National Bank of Nashville; 6 bales of cotton located at Jackson compress valued at $540, being 8 bales less rent due; 26 bales of cotton located at Decaturville belonging to others than the petitioner and therefore having no value to him; and household goods valued at $3,000. Among his liabilities petitioner claimed the sum of $3,500 representing store accounts payable.

At the close of 1944, petitioner held in a safe-deposit box in the American National Bank of Nashville certain State and county bonds bearing matured interest coupons in the amount of $398.50. Petitioner was unable to gain access to those coupons to present them for payment until sometime in 1945 due to an attachment of his assets incident to the divorce proceedings commenced against him in September of 1944.

In August of 1945, petitioner’s brother-in-law, W. O. Thompson, a cotton buyer in Lexington, Mississippi, acknowledged receipt from petitioner of 22 bales of cotton. On February 10, 1954, Thompson wrote petitioner in response to an inquiry from him, that he had remitted petitioner the sum of $1,850.72 in payment for cotton purchased. On November 7, 1945, petitioner deposited in his account with the First Natitonal Bank of Memphis the amount of $1,850.72.

During 1942, petitioner purchased from the bond department of the First National Bank of Memphis 20 bonds of the State of Arkansas in the face amount of $1,000 each, at a cost of $100,500 per hundred dollars of face value. On November 15,1945, that bank repurchased from petitioner 10 of those bonds for $119.9125 per hundred dollars of face value exclusive of interest.

In the latter part of 1945, petitioner moved to Memphis. Shortly thereafter he became engaged in the mortgage note business. His practice was to purchase bearer notes secured by real estate located within the Memphis area at discounts ranging from 10 to 62 per cent of their face amount. The average discount secured by petitioner was 25 to 30 per cent of the face value. In addition to collection of principal on those notes, petitioner received interest on their undis-counted face amount at 6 per cent per annum. The parties have agreed that petitioner’s investments in those notes for the years in issue were in the following amounts:

19Í5 19Í6 19b 7 19b8 19b9 1950 1951

$33,483.42 $67,924.86 $62,291.71 $66,864.71 $65,243.43 $58,485.09 $60,630.52

Petitioner was first contacted by respondent’s agents early in 1950. In response to a request to furnish records of his business transactions, he produced some canceled óhecks and bank deposit records which were the only records he maintained with respect to his mercantile business. He also produced a few canceled checks dealing with his mortgage note transactions. Repeated requests were made for more complete records of his mortgage note business, to which petitioner consistently replied it was all a matter of public record. From a search of public records, and a study of the canceled checks furnished them, respondent’s agents attempted to reconstruct petitioner’s income from his mortgage note transactions. However, because the notes in which petitioner dealt were bearer notes, the public records in many instances revealed only the names of the original parties to the transaction. Certain leads were obtained from those records which subsequently established petitioner to be the owner of the notes under investigation. A contact of known individuals with whom petitioner transacted mortgage note business proved inconclusive. From their investigation, respondent’s agents were able to discover approximately 75 separate note transactions in which petitioner was involved during the years in issue. In either July or August of 1952, petitioner furnished respondent’s agents with a list of his note transactions for the years in issue which he had reconstructed from his own sources. That list disclosed some 87 separate note transactions.

On the ground that petitioner’s records were incomplete, respondent’s agents proceeded to reconstruct petitioner’s income on the basis of increases in his net worth pins his personal living expenditures, abandoning their original reconstruction which had been founded on the specific items basis. A net worth statement was prepared disclosing the receipt of income in excess of that reported for each of the years in issue. Concessions with respect to many of the items on that statement have been made by petitioner. Set forth below are the amounts of net income or loss reported by petitioners on their returns, the approximate increases or decreases in their net worth and resulting net income or loss which they now maintain was sustained, and the increases in their net worth and the amounts of net income disclosed by the net worth statement prepared by respondent’s agents for each of the years in issue.

A search of the files of the office of the district director of internal revenue at Nashville, Tennessee, revealed no record of income tax returns having been filed by either petitioner for the years 1930 through 1945.

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Bluebook (online)
31 T.C. 220, 1958 U.S. Tax Ct. LEXIS 50, Counsel Stack Legal Research, https://law.counselstack.com/opinion/vise-v-commissioner-tax-1958.