Webster v. Commissioner

1992 T.C. Memo. 538, 64 T.C.M. 724, 1992 Tax Ct. Memo LEXIS 559
United States Tax Court·Decided September 14, 1992·No. Docket No. 21491-91·Unpublished

Opinion

G. MARSHALL WEBSTER AND LISA R. HERLACH, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Webster v. Commissioner
Docket No. 21491-91
United States Tax Court
T.C. Memo 1992-538; 1992 Tax Ct. Memo LEXIS 559; 64 T.C.M. (CCH) 724;
September 14, 1992, Filed
*559 For Petitioners: James J. Everett.
For Respondent: Rachael J. Zepeda.
GOLDBERG

GOLDBERG

MEMORANDUM OPINION

GOLDBERG, Special Trial Judge: This case was considered pursuant to section 7443(A)(b)(3) and Rules 180, 181, and 182, 1 and is before the Court on petitioners' motion for an order enjoining respondent from collection activities.

Respondent determined additions to tax for petitioner G. Marshall Webster for tax years 1983 and 1984, and for petitioners G. Marshall Webster and Lisa R. Herlach filing jointly for tax years 1985, 1986, 1987, and 1988, in the following amounts.

G. Marshall Webster

19831984
Additions to Tax
Section 6653(a)(1)$ 1,970$ 798
Section 6653(a)(2)50% of interest due50% of interest due
on $ 39,399on $ 15,966

G. Marshall Webster and Lisa R. Herlach

19851986
Additions to Tax
Section 6651(a)(1)---0-
Section 6653(a)(1)$ 1,152--
Section 6653(a)(2)50% of interest due--
on $ 23,049
Section 6653(a)(1)(A)--$   892
Section 6653(a)(1)(B)--50% of interest due
on $ 17,835
Section 6661$ 5,762$ 4,459
*560
19871988
Additions to Tax
Section 6651(a)(1)$ 3,287-0-
Section 6653(a)(1)--$ 1,175
Section 6653(a)(2)----
Section 6653(a)(1)(A)$ 1,225--
Section 6653(a)(1)(B)50% of interest due--
on $ 21,913
Section 6661$ 5,478$ 5,877

On September 23, 1991, petitioners timely filed a petition with this Court. In their petition, petitioners placed into controversy the entire amount of Federal income taxes due for the years 1983 through 1988. The adjustments to income resulting in the deficiencies for tax years 1985 through 1988 had been agreed to by petitioners prior to the issuance of the notices of deficiency. On November 14, 1991, respondent filed an answer. On February 3, 1992, petitioners filed a motion for an order enjoining respondent from collection activities. On February 10, 1992, respondent filed a response to petitioners' motion, and on March 2, 1992, petitioners filed a reply to respondent's response.

Petitioner G. Marshall Webster, a dentist, untimely filed his Federal income tax returns for tax years 1983 and 1984. Hereinafter the term petitioner will be used to refer to G. Marshall Webster. Petitioner claims to have entrusted*561 the filing of his income tax returns to his return preparer, Terry Baer, whom he believed to be a certified public accountant, and to have been unaware that the returns for 1983 and 1984 were never filed. He learned otherwise when respondent began an examination of his returns beginning in September 1990. Petitioner and his wife, Lisa R. Herlach, filed Form 2848, Power of Attorney, designating Terry Baer as their representative.

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Webster v. Commissioner, 1992 T.C. Memo. 538, 64 T.C.M. 724, 1992 Tax Ct. Memo LEXIS 559 (tax 1992).

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