Zouganiles v. Commissioner

1960 T.C. Memo. 5, 19 T.C.M. 13, 1960 Tax Ct. Memo LEXIS 284
CourtUnited States Tax Court
DecidedJanuary 27, 1960
DocketDocket Nos. 59439, 59440.
StatusUnpublished

This text of 1960 T.C. Memo. 5 (Zouganiles 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
Zouganiles v. Commissioner, 1960 T.C. Memo. 5, 19 T.C.M. 13, 1960 Tax Ct. Memo LEXIS 284 (tax 1960).

Opinion

George D. Zouganiles, Petitiover, v. Commissioner. George D. Zouganiles and Estate of Eva T. Zouganiles, Deceased, Walter Melrose, Administrator v. Commissioner.
Zouganiles v. Commissioner
Docket Nos. 59439, 59440.
United States Tax Court
T.C. Memo 1960-5; 1960 Tax Ct. Memo LEXIS 284; 19 T.C.M. (CCH) 13; T.C.M. (RIA) 60005;
January 27, 1960

*284 Held, respondent's determination of deficiencies in accordance with net worth computation, sustained with adjustments.

Held further, returns for the years 1947 and 1949 were not false or fraudulent with intent to evade tax, and no part of the deficiency for any of the years in issue was due to fraud with intent to evade tax.

J. E. Simpson, Esq., Title Insurance Building, Los Angeles, Calif., for the petitioners. Earl C. Crouter, Esq., and Cyrus A. Johnson, Esq., for the respondent.

BRUCE

Memorandum Findings of Fact and Opinion

BRUCE, Judge: Respondent determined deficiencies in the income tax and additions to tax of George D. Zouganiles and Eva T. Zouganiles as follows:

Addition to Tax
YearDeficiencySection 293(b)
Docket No. 59439
George D. Zouganiles1947$ 1,502.50$ 608.55
Docket No. 59440
George D. Zouganiles194912,519.926,259.96
and Eva T. Zouganiles19506,682.223,341.11

*285 The following issues are presented for decision:

1. Whether respondent properly resorted to and applied the net worth method in determining the net income of the petitioners for each of the years 1947, 1949, and 1950.

2. Whether any part of the deficiency for each of the years in issue was due to fraud with intent to evade tax.

3. Whether the assessment and collection of the deficiencies and additions to tax for each of the years 1947 and 1949 are barred by limitations.

Findings of Fact

During the years in issue George D. Zouganiles and Eva T. Zouganiles were husband and wife, residing in the State of California. Eva died on January 11, 1955, and Walter Melrose is the duly appointed administrator of her estate. Her estate is involved herein only because of certain income tax returns which Eva filed jointly with George. For the taxable year 1947, George timely filed an individual income tax return with the collector of internal revenue for the sixth district of California. George subsequently filed an amended individual income tax return for the year 1947. For each of the taxable years 1949 and 1950, George and Eva filed joint income tax returns with said collector. The*286 returns for the years 1947 and 1949 were filed on or before March 15, 1948, and March 15, 1950, respectively. The deficiency notices here involved were mailed on or after June 15, 1955.

George was born in Greece and came to the United States as a small boy. During his youth he became a naturalized citizen of the United States. He has had no formal education in this country. During his adult life he has been a professional gambler. Prior to 1935 he worked in Florida and his wife worked as a night club entertainer. About 1936 they moved to Palm Springs, California, and commenced working in a gambling establishment located there. When he moved to California, George brought with him approximately $30,000. During the years 1937 to 1940, inclusive, George worked in a gambling establishment in Palm Springs at a salary of $200 to $250 per week, plus additional amounts which were sometimes paid him of approximately $50 to $100.

During the years 1941 to 1950, inclusive, George engaged in his own business as a bookmaker, accepting bets on the results of horse races. During the year 1947, he conducted his bookmaking operation in the back room of a store in Cathedral City, California, which*287 is located about six miles from Palm Springs. After 1947, when the action of local law enforcement officers began to curtail gambling operations, George intermittently changed the site of his bookmaking business to the Athens Hotel in Palm Springs. Whether he conducted his business in Cathedral City or Palm Springs depended upon the extent to which local law enforcement officers curtailed his business operation. In addition to the bookmaking operation at Cathedral City, George offered gambling in the form of dice and card games.

During the period in issue, George leased and operated the Athens Hotel in Palm Springs, California, which had approximately eight rental rooms.

In December 1948, George became interested in a gambling establishment known as the North Shore Club which was located at Crystal Bay, Lake Tahoe, Nevada. He decided to buy a one-fifth interest in a partnership that was being formed to operate the North Shore Club. George borrowed $10,000 from the Bank of America on December 10, 1948. On May 19, 1949, he deposited $10,000 in the bank account of the North Shore Club.

Albert Ligier, who managed George's horse book operation, kept books of account relating to the*288 operation of his bookmaking business. All daily records of gambling transactions were destroyed to minimize evidence of gambling and avoid detection by law enforcement officers.

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1960 T.C. Memo. 5, 19 T.C.M. 13, 1960 Tax Ct. Memo LEXIS 284, Counsel Stack Legal Research, https://law.counselstack.com/opinion/zouganiles-v-commissioner-tax-1960.