DocketNumber: Docket No. 19239-85
Judges: Tannenwald
Filed Date: 7/14/1986
Status: Precedential
Modified Date: 10/19/2024
*82
Petitioner deposited cash in a bank account and the trial record revealed no income-producing activity on his part.
*74 OPINION
Respondent determined a deficiency in petitioner's Federal income tax for 1981 in the amount of $ 11,722, together with an addition to tax of $ 586 under
*75 Petitioner resided in Buffalo, New York, at the time the petition was filed. He filed a timely Federal income tax return for 1981 with the Andover Service Center.
On July 27, 1981, petitioner deposited $ 30,000 in cash with the Manufacturer's Hanover Bank and received therefor a Certificate of Deposit. Petitioner did not include the $ 30,000 in income on his 1981 return but he did include the interest earned on that account. *84 when he died in May 1976; that the father had accumulated cash which he had kept in a cigar box in a closet in their home; that, around Christmas of 1975 after her husband had had a heart attack, he told her to give the cash to their son (petitioner) when he reached the age of 27; that he picked that age because he felt that by that time petitioner would be more mature; that her husband did not believe in banks; and that she gave the cash to petitioner when he reached 27 on June 11, 1981. Petitioner also testified that his father had wanted him to have the money on his 27th birthday and that he did not deposit it immediately because it took him 6 weeks to convince his mother that it should be so deposited. Petitioner further testified that he was unemployed during 1980 and 1981 and in fact never has worked at all; that he received free room and food by living with his mother; and that he received $ 30 to $ 40 a week from his two uncles who lived with him and his mother, with which he purchased gas for his car, paid for his insurance, and had "money to go out with".
In the usual case, petitioner would have the burden of proof as to all issues involved herein.
*88 A bank deposit is prima facie evidence of income and respondent need not prove a likely source of that income.
*78 To reflect respondent's concession (note 3,
1. All section references are to the Internal Revenue Code of 1954 as amended and in effect during the taxable year at issue, and all Rule references are to the Tax Court Rules of Practice and Procedure.↩
2. The $ 586 was the only addition to tax set forth in the notice of deficiency but the attachments to the notice explained that an additional amount consisting of 50 percent of the interest payable with respect to the $ 11,722 was being determined.↩
3. The deficiency notice included $ 1,685 of interest income which respondent has conceded was incorrect.↩
4. Petitioner submits the following quotation from
"Notwithstanding the petitioner's almost total lack of funds or source of income in 1970 [the only year before the Court] (if his testimony is to be believed), the Government managed to seize $ 54,715 in cash plus an Eldorado Cadillac at the time of petitioner's arrest on July 8, 1971, on the suspicion of dealing in narcotics, according to the opening statement of respondent's counsel. The record contains absolutely no explanation of the source of these funds or property, and, in fact, respondent's counsel categorically stated that 'respondent maintains that the cash seized in 1971 has no bearing at all on the issue before this Court in the 1970 year.'"↩
5. See also
6. Most of the cases requiring proof of a linkage to an income-producing activity have involved alleged illegal sources of income. We leave to another day whether that requirement should be limited to such cases. See
7. See also
8. See also
Jack E. Golsen and Sylvia H. Golsen v. Commissioner of ... ( 1971 )
Kent A. Adamson v. Commissioner of Internal Revenue ( 1984 )
Raul Llorente v. Commissioner of Internal Revenue ( 1981 )
Myrna Labow v. Commissioner of Internal Revenue, Ronald ... ( 1985 )
Estate of Mary Mason, Deceased, Herbert L. Harris, ... ( 1977 )
L. Jay Walker v. Commissioner of Internal Revenue ( 1985 )
Nathan Fleischer v. Commissioner of Internal Revenue ( 1968 )