Webster v. Commissioner
This text of 1982 T.C. Memo. 427 (Webster 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
*312 Respondent determined that petitioners under-reported income by $42,145.81 for 1974 and by $20,042.11 for 1975.
MEMORANDUM FINDINGS OF FACT AND OPINION
STERRETT,
| Taxable Year Ended | Addition to Tax | |
| Dec. 31, | Deficiency | Under Sec. 6653(a) |
| 1974 | $16,856.76 | $842.84 |
| 1975 | 6,175.40 | 308.77 |
After concessions, the issues for decision are: (1) whether petitioners understated their taxable income in the amounts determined by respondent for the taxable years 1974 and 1975; (2) whether petitioners are entitled to deduct alleged partnership losses for 1974 and 1975; and (3) whether petitioners are liable for additions to tax pursuant to
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.
*314 Petitioners Roberto S. Webster and his wife, M. Helda Webster, resided in Miami, Florida at the time of filing the petition herein. They filed joint Federal income tax returns for the taxable years 1974 and 1975 with the Office of the Director, Internal Revenue Service.
During the years at issue, petitioner Roberto Webster was employed by Aerocondor Airlines in Miami. During 1974, Mr. Webster earned $16,000 in wages from his employer and $2,340 in commissions. In 1975, he earned $14,000 in wages from Aereocosta and $7,647 in wages from Aerocondor. Additionally, during the years at issue, petitioner was engaged in a joint venture with Mr. Willie Randolph-Eubanks. The joint venture was alleged to be a partnership which owned two fishing vessels.
Utilizing the bank deposits method, respondent determined that petitioners had income of $62,500.81 in 1974 and $43,067.67 in 1975. Accordingly, respondent determined that petitioners underreported income by $42,145.81 and $20,042.11 for the taxable years 1974 and 1975, respectively.
Petitioner Mr. Webster claimed that a $10,000 bank deposit made by him on August 1, 1974 was attributable to a loan received from his wife's parents*315 for the purchase of a home. Mr. Webster frankly stated that he had no way of proving that such a loan had been made since it had been made in cash. His wife's parents lived in Honduras and, according to Mr. Webster, the loan had to be made in American dollars purchased on the blackmarket due to tight monetary controls existing in South America at the time. Similarly, Mr. Webster stated that a $6,000 deposit made on November 18, 1974 was derived from a cash loan made to him by his own parents. Other deposits totaling $10,800 during the taxable year 1974 allegedly were received by petitioner from a Mr. F. A. Connor as a cash loan for the purpose of enabling Mr. Webster to make a down payment on the newly acquired home. Additionally, Mr. Connor allegedly loaned Mr. Webster $1,000 in 1975. Mr. Webster stated that Mr. Connor had been a close friend of his for a number of years but that he had lost touch with Mr. Connor in recent years. He also stated that the loans made by Mr. Connor had been repaid in full and that he still owed $4,000 to his wife's parents.
OPINION
Respondent utilized the bank deposit method to support his determination that petitioner had unreported income*316 in the taxable years 1974 and 1975. Petitioners maintain that they did not underreport their income, and that discrepancies revealed by respondent's method are in part attributable to the deposit of proceeds from several loans made to Mr. Webster during the years at issue. Petitioners contend that the remaining unreported income is more than offset by losses incurred by petitioners as a result of Mr. Webster's participation in a fishing boat enterprise.
Respondent's determination of deficiency is presumed correct and petitioners have the burden of proving otherwise.
Free access — add to your briefcase to read the full text and ask questions with AI
Related
Cite This Page — Counsel Stack
1982 T.C. Memo. 427, 44 T.C.M. 609, 1982 Tax Ct. Memo LEXIS 312, Counsel Stack Legal Research, https://law.counselstack.com/opinion/webster-v-commissioner-tax-1982.