Warner v. Commissioner

1974 T.C. Memo. 243, 33 T.C.M. 1080, 1974 Tax Ct. Memo LEXIS 73
CourtUnited States Tax Court
DecidedSeptember 19, 1974
DocketDocket No. 8012-72.
StatusUnpublished
Cited by1 cases

This text of 1974 T.C. Memo. 243 (Warner 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
Warner v. Commissioner, 1974 T.C. Memo. 243, 33 T.C.M. 1080, 1974 Tax Ct. Memo LEXIS 73 (tax 1974).

Opinion

RICHARD E. WARNER AND VIRGINIA A. WARNER, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Warner v. Commissioner
Docket No. 8012-72.
United States Tax Court
T.C. Memo 1974-243; 1974 Tax Ct. Memo LEXIS 73; 33 T.C.M. (CCH) 1080; T.C.M. (RIA) 74243;
September 19, 1974, Filed.

*73 Held, respondent's determination of a deficiency within 3 years of the filing of a return is not barred by the granting of a refund claimed on the return more than 2 years prior to the determination. Sec. 6532(b), I.R.C. 1954, not applicable.

Richard E. Warner, pro se.
George W. McDonald, for the respondent.

DRENNEN

MEMORANDUM OPINION

DRENNEN, Judge: Respondent determined a deficiency in petitioners' income tax for the year 1969 in the amount of $683. The issues are (1) whether petitioners understated their taxable income by the amount of $3,999.84 in their return for the year 1969 and (2) whether assessment and collection*75 of any deficiency in income tax for the year 1969 is barred by the statute of limitations.

This case was submitted on a fully stipulated set of facts. The stipulation of facts is incorporated herein by this reference.

Petitioners were husband and wife who resided in Temecula, Calif. Petitioners resided in California during the entire taxable year 1969 and at the time of the filing of the petition herein were residents of Temecula, Calif.

Petitioners filed a joint individual income tax return for the year 1969 prior to April 15, 1970.

Attached to the petitioners' income tax return was a Treasury Department Form W-2 which indicated "Federal Income Tax Withheld" of $2,069.62, "Wages Paid Subject to Withholding in 1969" of $12,631.43, and "Other Compensation Paid in 1969" of $3,999.84. The return listed petitioners' adjusted gross income as $12,631. No tax liability was listed, and a refund was requested of the full amount of the Federal income tax withheld.

By check dated May 15, 1970, petitioners received a refund for 1969 in the amount of $20.70. Petitioners telephoned the Ogden, Utah, Internal Revenue Service office to report the error in the refund they had received. *76 A follow-up telephone call was made a few days later, and petitioners were advised by respondent's representative that their W-2 form had been lost and they were requested to forward a copy of it. The petitioners complied with this request, and as a result, a check dated June 26, 1970, in the amount of $2,070.15 was issued to petitioners.

With petitioners' 1970 income tax return a registered letter dated February 22, 1970, was sent by petitioners to the Internal Revenue Service Center, Western Division, Ogden, Utah, calling attention to a possible error or omission by petitioners on their 1969 return. The letter requested the Internal Revenue Service to check into the matter and if an error or omission had been made, authorized the Internal Revenue Service to deduct any deficiency from petitioners' 1970 refund.

Respondent did not acknowledge the letter, and issued a refund check for 1970 to petitioners in the full amount claimed on the return for that year.

Within a few months petitioners were notified by the respondent that they were to be audited for the year 1969. Petitioners submitted to a partial audit by authorizing the Internal Revenue Service auditor to select any*77 category of receipts from petitioners' records. The auditors examined petitioners' telephone expense deductions and petitioners' offered to permit an audit of any other category of business expenses. Petitioners declined further audit except by disinterested third parties.

Petitioners were sent a Report of Audit Changes indicating a proposed deficiency of $2,106 and appealed to the district conferee. The district conferee accepted the substantiation offered by petitioners of all of their employee business expense deductions.

Respondent subsequently issued a notice of deficiency dated July 26, 1972, asserting a deficiency of $683 against petitioners based upon petitioners' failure to include the $3,999.84, listed as "Other Compensation Paid in 1969" on their W-2 form for 1969 in their taxable income for that year. Petitioners timely filed a petition in this Court.

When this case was called for trial, petitioner Richard W. Warner, who was representing petitioners, stated orally on the record that petitioners were not contesting the fact that they had failed to include in their taxable income for the year 1969 the $3,999.84 of other compensation received in 1969, that they*78 were not contesting the underlying deficiency, and that the case would be submitted on a fully stipulated set of facts. We, therefore, find that petitioners omitted from their taxable income for the year 1969 the aforesaid amount of $3,999.84 upon which the deficiency is based.

Petitioners' argument, as we understand it, is that the omission of $3,999.84 from their taxable income was apparent from the W-2 form filed with the return, that additionally they informed the Internal Revenue Service when they filed their 1970 return of the possible omission on their 1969 return, and that the failure of the Internal Revenue Service to act on this information until more than 2 years after the payment to petitioners of a refund for 1969 bars the later assessment and collection of the deficiency under the provisions of sections 6501(e), 6532(b), and 7405 of the Internal Revenue Code of 1954

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Cite This Page — Counsel Stack

Bluebook (online)
1974 T.C. Memo. 243, 33 T.C.M. 1080, 1974 Tax Ct. Memo LEXIS 73, Counsel Stack Legal Research, https://law.counselstack.com/opinion/warner-v-commissioner-tax-1974.