DocketNumber: Docket No. 895-83.
Filed Date: 12/8/1983
Status: Non-Precedential
Modified Date: 11/21/2020
MEMORANDUM OPINION
FAY,
Sec. 6653(a) | Sec. 6654(a) | |||
Year | Deficiency | Addition to Tax | Addition to Tax | Addition to Tax |
1977 | $2,849.00 | $712.25 | $142.45 | $91.16 |
1978 | 3,549.00 | 887.25 | 177.45 | 133.56 |
1979 | 2,547.00 | 636.75 | 127.35 | 106.97 |
After concessions made byu petitioner, the sole issue is whether the United States Tax Court is an unconstitutional body and thus lacks jurisdiction to decide this case.
Petitioner, Mildred Johnson, resided in Paramount, Calif., when the petition was filed herein.
At trial and in the stipulation of facts submitted by the parties, petitioner agreed to the amounts of the deficiencies in and additions to tax determined by respondent in the notices of deficiency at issue herein, but challenged this Court's authority to render a decision in this case. In essence, petitioner takes the position that this Court is unconstitutional*59 because it was not established pursuant to the provisions of
1. All section references are to the Internal Revenue Code of 1954, as amended.↩
2. A different result is not required as a result of the Supreme Court's recent decision in