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Estate of Isaac Stromberg, Deceased, Milton Stromberg, Executor v. Commissioner.Estate of Stromberg v. CommissionerDocket No. 63870.
United States Tax Court T.C. Memo 1962-246; 1962 Tax Ct. Memo LEXIS 60; 21 T.C.M. (CCH) 1310; T.C.M. (RIA) 62246;October 23, 1962 *60 Sherman N. Rosen, Esq., and Thomas J. Carens, Esq., for the petitioner. J. Frost Walker, Jr., Esq., for the respondent.OPPERMemorandum Findings of Fact and Opinion
OPPER, Judge: Respondent determined deficiencies in income tax and additions to tax under
section 293(b), I.R.C. 1939 , for the years 1943 through 1947 as follows (including victory tax for 1943):Addition Year Tax to tax 1943 $ 3,164.38 $ 1,582.19 1944 9,470.48 4,735.24 1945 10,503.18 5,251.59 1946 31,960.09 15,980.04 1947 2,555.33 1,277.66 The questions presented for determination are: (1) whether any part of the deficiency for any year is due to fraud with intent to evade tax; (2) whether the statute of limitations is thus inapplicable to bar any or all of the deficiencies; (3) if not, as to 1946, whether the omission from income exceeded 25 percent of the gross income stated in the return so as to validate consents to extensions of time for assessment executed more than three but less than five years after the return was filed; and (4) whether, if assessment is timely, respondent correctly determined the deficiencies.
Findings of Fact
Some of the facts*61 have been stipulated and are hereby found accordingly.
Isaac Stromberg (hereinafter referred to as decedent), who died February 16, 1955, filed a timely Federal income and victory tax return for the taxable year ended December 31, 1943 and timely Federal income tax returns for the taxable years ended December 31, 1944, 1945, 1946 and 1947 with the collector of internal revenue, Boston, Massachusetts. Petitioner is decendent's estate.
A series of consents extending the period of limitations upon the assessment of decedent's income tax for taxable year 1946 through June 30, 1956 were executed, beginning on February 28, 1952. Decedent's 1946 return was filed on March 15, 1947.
Decedent was the treasurer of Commonwealth Clothing Company (hereinafter referred to as Commonwealth), a Massachusetts corporation engaged in the manufacture of men's and boys' coats, from 1938 to 1947. Prior to 1938, he was the president and principal stockholder of Commonwealth, but in that year he transferred controlling stock interest to his son, Milton Stromberg. During the taxable years involved here, Milton Stromberg was president and owned all 700 shares of capital stock of Commonwealth except that*62 on June 20, 1946 an additional 200 shares were issued to decedent.
Decedent was the "inside man," supervising the general operation of Commonwealth. Among other duties, he had charge of Commonwealth's books and bought some supplies. Decedent was eccentric, impulsive, and secretive in his activities. Milton Stromberg was the "outside man," or salesman, for Commonwealth. In this capacity, he traveled extensively and was away from the place of business frequently and sometimes for several months at a time. He was not familiar with the affairs of Commonwealth or with his father's activities in regard to it.
In his returns for the taxable years 1943 through 1947, decedent reported gross income and sources thereof as follows:
Year Source Amount 1943 Salary from Commonwealth $ 8,840.00 Salary from Clifton Clothing, Baltimore, Md. 4,000.00 $12,840.00 1944 Salary (unstated source) $ 8,840.00 1945 Salary from Commonwealth $ 8,840.00 1946 Salary from Commonwealth $15,600.00 Dividends 211.50 $15,811.50 1947 Salary from Commonwealth $15,600.00 Dividends 550.00 Interest 190.40 $16,340.40 Decedent deposited in his checking*63 account with the Pilgrim Trust Co., Boston, Massachusetts, now known as New England National Bank, during the years 1943 through 1947, amounts as follows:
Number of Total de- Year deposits posits 1943 67 (129 items) $25,793.28 1944 95 (227 items) 38,520.99 1945 78 (260 items) 41,407.62 1946 105 (371 items) 87,337.67 1947 83 (313 items) 72,588.83 An analysis of decedent's checking account, prepared by a firm of Certified Public Accountants from the ledger sheets of the account, identified certain of the deposits, including salary payments and other reported or nontaxable receipts such as repayment of short-term loans made by decedent and proceeds from the sale of securities. Some income reported by decedent was not identified among the deposits. The accountants were unable to make any identification of deposits totaling as follows:
"Unidentified" Year deposits 1943 $ 5,930.90 1944 18,550.63 1945 19,914.12 1946 54,778.57 1947 18,402.76 Among the deposits in decedent's account which were classified as "unidentified" by the accountants were certain checks delivered by various makers to Commonwealth in payment for*64 merchandise purchased from it by the makers. These checks were endorsed in the name of Commonwealth and in the name of decedent. The total number and amount of the checks so established for each year are as follows:
Number of Total Year checks amount 1943 1944 1 $ 26.50 1945 3 241.75 1946 20 2,067.80 1947 27 1,523.75 $3,859.80 The number of checks written by decedent and the beginning and ending balances in his account for each of the years involved here are as follows: