Whitler v. Commissioner

1980 T.C. Memo. 214, 40 T.C.M. 503, 1980 Tax Ct. Memo LEXIS 375
CourtUnited States Tax Court
DecidedJune 23, 1980
DocketDocket No. 9793-77.
StatusUnpublished

This text of 1980 T.C. Memo. 214 (Whitler 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
Whitler v. Commissioner, 1980 T.C. Memo. 214, 40 T.C.M. 503, 1980 Tax Ct. Memo LEXIS 375 (tax 1980).

Opinion

JAMES MARCUS WHITLER, JR.,Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Whitler v. Commissioner
Docket No. 9793-77.
United States Tax Court
T.C. Memo 1980-214; 1980 Tax Ct. Memo LEXIS 375; 40 T.C.M. (CCH) 503; T.C.M. (RIA) 80214;
June 23, 1980, filed
Earle B. Fowler, for the petitioner.
Robert E. Touchton, for the respondent.

FAY

MEMORANDUM OPINION

FAY, Judge: Respondent determined deficiencies in petitioner's Federal income taxes and additions to the tax for fraud under section 6653(b)1 as follows:

Additional
YearDeficiencySec. 6653(b)
1963$1,808.23$ 904.11
19642,527.351,263.68
19652,328.521,164.26
19662,919.301,459.65
19673,649.941,824.97

The amounts of all of respondent's adjustments having been conceded, the only issue presented is whether any part of the deficiencies for the years 1963, 1964, 1965, *377 and 1967 was due to fraud. 2 If so, the statute of limitations will not bar assessment of the deficiencies in controversy, section 6501(c)(1), and petitioner will be liable for the 50 percent penalty for fraud under section 6653(b).

All of the facts have been stipulated and are so found.

At the time he filed his petition in this case, petitioner James Marcus Whitler, Jr., resided in Fairbanks, Alaska.

During the years in issue, petitioner lived in Jeffersonville, Ind., which is a suburb of Louisville, Ky. Petitioner worked in Louisville as the personnel director of Spalding Laundry any Dry Cleaning Company (hereinafter Spalding) until February 1968, when his employment was terminated. Between 1961 and 1968, petitioner embezzled funds from Spalding.

Petitioner caused Spalding to issue payroll checks and, in at least one instance, petty cash vouchers 3 to individuals who either no longer worked for Spalding or who never had. Petitioner converted the checks to his own use by depositing them in his account at the Bank of Sonora, Sonora, Ky. Employees Employees at the Bank of Sonora had an understanding*378 with petitioner that when they opened mail from him, they would credit to his personal account all checks received from him, including Spalding checks made payable to persons other than himself.

In the years 1963 through 1967, petitioner embezzled from Spalding $4,512.27, $7,213.44, $7,563.89, $7,662.49, and $7,880.15, respectively. These figures represent the total amounts petitioner received from net payroll checks which Spalding issued to fictitious employees. Spalding itself lost more than that because Federal and local income taxes, social security taxes, and workmen's compensation and unemployment contributions were withheld from the gross amounts paid by Spalding. In 1967 petitioner directed a day porter at Spalding to remove several stacked boxes from the second floor of the Spalding plant and burn them. The boxes contained the payroll records for the years in question. Because these records were destroyed, the amounts of Federal income taxes withheld by Spalding from*379 checks issued to petitioner's fictitious employees cannot now be determined. Such taxes were paid over to respondent and have never been refunded to petitioner or anyone else. The maximum net amount paid in any one year to a fictitious employee on Spalding's payroll was $2,558.33, in 1964, but most individual yearly totals were much smaller than that.

For the most part, petitioner used the funds he converted from Spalding to purchase and improve rental properties. Petitioner realized net rental income in the years 1963 through 1967 of $345.88, $173.33, $268.85, $994.01, and $2,588.23, respectively. These net rental income figures take into account such items as utility bills, taxes, insurance, repairs, and depreciation. Petitioner did not report any income from embezzlement or from his rental properties on his tax returns for the years in issue.

In 1948 petitioner and his wife sold a parcel of real property located in Orlando, Fla., under a mortgage contract in their own favor calling for payments of $60 per month. Petitioner continued to receive such payments during the years 1963 through 1967 in the respective amounts of $660.00, $780.00, $783.25, $720.00, and $350.00. *380 Petitioner failed to report interest income from the sale during those years of $193.09, $199.95, $167.73, $124.70, and $48.63.

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Bluebook (online)
1980 T.C. Memo. 214, 40 T.C.M. 503, 1980 Tax Ct. Memo LEXIS 375, Counsel Stack Legal Research, https://law.counselstack.com/opinion/whitler-v-commissioner-tax-1980.