Robleto v. Commissioner , 471 F. App'x 576 ( 2012 )


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  •                                                                            FILED
    NOT FOR PUBLICATION                             MAR 06 2012
    MOLLY C. DWYER, CLERK
    UNITED STATES COURT OF APPEALS                      U .S. C O U R T OF APPE ALS
    FOR THE NINTH CIRCUIT
    MIGUEL ROBLETO,                                  No. 09-71831
    Petitioner - Appellant,           Tax Ct. No. 10946-06
    v.
    MEMORANDUM *
    COMMISSIONER OF INTERNAL
    REVENUE,
    Respondent - Appellee.
    Appeal from a Decision of the
    United States Tax Court
    Submitted February 21, 2012 **
    Before:        FERNANDEZ, McKEOWN, and BYBEE, Circuit Judges.
    Miguel Robleto appeals pro se from the Tax Court’s order concluding that
    his failure to file a federal income tax return in 2003 was fraudulent. We have
    jurisdiction under 
    26 U.S.C. § 7482
    (a)(1). We review for clear error the Tax
    *
    This disposition is not appropriate for publication and is not precedent
    except as provided by 9th Cir. R. 36-3.
    **
    The panel unanimously concludes this case is suitable for decision
    without oral argument. See Fed. R. App. P. 34(a)(2).
    Court’s finding of fraud, Laurins v. Comm’r, 
    889 F.2d 910
    , 913 (9th Cir. 1989),
    and we affirm.
    The Tax Court did not clearly err in concluding that Robleto’s failure to file
    his federal income tax return in 2003 was based on the same fraudulent intent that
    led him to file erroneous returns in 2000, 2001, and 2002 because there was clear
    and convincing evidence that, during all four years, Robleto engaged in a pattern of
    conduct that constituted badges of fraud. See 
    id.
     (setting forth circumstantial
    evidence, or badges of fraud, from which court can infer fraudulent intent in light
    of the entire record); see also Bradford v. Comm’r, 
    796 F.2d 303
    , 308 (9th Cir.
    1986) (fraud shown where taxpayer, among other things, consistently failed to file
    tax returns, make estimated payments, maintain adequate business records, report
    substantial business income, or cooperate with the revenue agent).
    Robleto’s remaining contentions are unpersuasive.
    AFFIRMED.
    2                                       09-71831
    

Document Info

Docket Number: 09-71831

Citation Numbers: 471 F. App'x 576

Judges: Fernandez, McKeown, Bybee

Filed Date: 3/6/2012

Precedential Status: Non-Precedential

Modified Date: 11/5/2024