DocketNumber: No. 14118-97
Citation Numbers: 78 T.C.M. 246, 1999 Tax Ct. Memo LEXIS 301, 1999 T.C. Memo. 263
Judges: "Parr, Carolyn Miller"
Filed Date: 8/5/1999
Status: Non-Precedential
Modified Date: 4/17/2021
*301 Decision will be entered under Rule 155.
MEMORANDUM FINDINGS OF FACT AND OPINION
PARR, JUDGE: By separate notices of deficiency, respondent determined deficiencies in, and additions to, petitioners' Federal income taxes as follows:
Kenneth O. Butler
Addition to tax
Year Deficiency
____ __________ _______________
1988 $ 272 $ 100
1989 469 113
1990 1,099 186
1991 1,219 250
1992 461 100
1993 1,635 280
1994 941 *302 115
1995 656 115
April C. Butler
Addition to tax
Year Deficiency
____ __________ _______________
1988 $ 272 $ 100
1989 469 113
1990 1,099 186
1991 1,539 330
1992 461 100
1993 1,196 171
1994 941 115
1995 656 115
All section references are to the Internal Revenue Code in effect for the taxable years in issue, and all Rule references are to the Tax Court Rules of Practice and Procedure, unless otherwise indicated. References to petitioner are to Kenneth O. Butler.
The issues for decision are: (1) Whether for the years in issue petitioners had unreported income. We hold they did. (2) Whether for the years in issue petitioners are liable for an addition to tax pursuant to
Some of the facts have been stipulated and*303 are so found. The stipulated facts and the accompanying exhibits are incorporated herein by this reference. At the time the petition in this case was filed, petitioners resided in Lubbock, Texas.
FINDINGS OF FACT
Petitioners did not file Federal income tax returns for the years in issue.
Petitioner is retired from the U.S. Navy, and currently works as a Federal protection officer at the Federal Building in Lubbock, Texas.
Respondent based the determinations in this case on information received from third-party payors. In addition, petitioners have stipulated amounts of income that they received for the years in issue in the form of wages, pension income, nonemployee compensation, and interest.
OPINION
The Commissioner's determinations are presumptively correct, and the taxpayer bears the burden of proving otherwise. See Rule 142(a);
Petitioners do not challenge the facts on which respondent's determinations are based, nor the calculation of tax. Instead, petitioners argue that filing Federal income tax returns violates their rights under the
Petitioners argue that filing Federal income tax returns violates their right to free speech under the
Petitioner also testified that he is a born again Christian. While we accept that petitioner is sincere and dedicated to his religious beliefs, it is well established that religious or moral objections grounded on the
Because the broad public interest in maintaining a sound tax
system is of such a high order, religious belief in conflict
with the payment of taxes affords no basis for resisting the
tax. [
See also
Petitioners next mention that their
Finally, petitioners argue that their
Petitioners admit that for taxable years 1990, 1991, *308 1992, 1993, 1994, and 1995 they resided in Texas, a community property State. For taxable years 1988 and 1989, petitioner testified that he and his wife lived and worked in Washington State and Oregon. Petitioners' time living in Washington State is irrelevant to respondent's determinations, as it is also a community property State. In any event, petitioners have not provided any evidence as to where and when they lived in Oregon, nor how that would affect their income tax liability for the years in issue. Accordingly, respondent's deficiency determinations are sustained.
In addition, respondent determined additions to tax under
A taxpayer may avoid the addition to tax by establishing that the failure to file a timely return was due to reasonable cause and not willful*309 neglect. See Rule 142(a);
For the foregoing reasons,
Decision will be entered under Rule 155.
William H. And Avilda L. Edwards v. Commissioner of ... , 680 F.2d 1268 ( 1982 )
Muste v. Commissioner , 35 T.C. 913 ( 1961 )
Norman E. McCoy and Mary Louise McCoy v. Commissioner of ... , 696 F.2d 1234 ( 1983 )
Wallace T. Collett and Carrie H. Collett v. United States , 781 F.2d 53 ( 1985 )
United States v. Lee , 102 S. Ct. 1051 ( 1982 )
Sloan v. Commissioner , 102 T.C. 137 ( 1994 )
James T. Eicher v. United States , 774 F.2d 27 ( 1985 )
Lorin G. Sloan v. Commissioner of Internal Revenue , 53 F.3d 799 ( 1995 )
Elizabeth S. McKee v. United States of America, Deborah ... , 781 F.2d 1043 ( 1986 )
Daniel R. Hudson v. United States , 766 F.2d 1288 ( 1985 )
Thomas A. Moore, Sr. v. Commissioner of Internal Revenue , 722 F.2d 193 ( 1984 )
E.H. Mosher, Sr. v. Internal Revenue Service , 775 F.2d 1292 ( 1985 )
Charles H. Stubbs v. Commissioner of Internal Revenue ... , 797 F.2d 936 ( 1986 )
Kastigar v. United States , 92 S. Ct. 1653 ( 1972 )
United States v. Boyle , 105 S. Ct. 687 ( 1985 )
Sharon D. Welch v. United States , 77 A.L.R. Fed. 551 ( 1985 )
J. Bryant Kasey and Maryann Kasey v. Commissioner of ... , 457 F.2d 369 ( 1972 )
Nandor Hettig v. United States , 845 F.2d 794 ( 1988 )
Ralph E. Heitman v. United States , 753 F.2d 33 ( 1984 )