DocketNumber: Docket No. 17640-82
Filed Date: 9/7/1983
Status: Non-Precedential
Modified Date: 11/21/2020
MEMORANDUM OPINION
SCOTT,
Petitioner Dorothy Bond filed her petition herein on July 13, 1982. She was a resident of Inglewood, California, at that time.
This case is before the Court on respondent's Motion for Summary Judgment, filed on April 26, 1983, pursuant to
On April 26, 1983, respondent filed his Motion for Summary Judgment. A copy of of said motion together with a notice of hearing was served on petitioner on April 27, 1983. No objection was filed by petitioner nor was an appearance made by or on behalf of petitioner with respect to respondent's Motion for Summary Judgment.
* * * A decision shall * * * *241 be rendered if the pleadings, answers to interrogatories, depositions, admissions, and any other acceptable materials, * * * show that there is no genuine issue as to any material fact and that a decision may be rendered as a matter of law. * * *
With respect to the deficiency we need only look to the affirmative allegations in the Amendment to Answer (which have been deemed admitted) to make a finding that petitioner omitted from her tax return for the taxable year 1975 taxable income of $236,249.68.
With respect to the addition to tax for fraud, the burden of proof is on the respondent under section 7454(a) and Rule 142(b). This burden must be satisfied by clear and convincing evidence.
1. All section references are to the Internal Revenue Code of 1954, as amended, unless otherwise indicated.↩
2. All rule references are to the Tax Court Rules of Practice and Procedure, unless otherwise indicated.↩
3. Paragraph 7(al) of respondent's Amendment to Answer (which has been deemed admitted) states "Petitioner fraudulently, and with intent to evade tax, omitted from her income tax return for the taxable year 1975, taxable income in the amount of $236,249.68." ↩
4. Paragraph 7(am) of respondent's Amendment to Answer (which has been deemed admitted) states "The petitioner's correct income tax liability for 1975 is $98,734.72, the tax liability reported on the petitioner's 1975 income tax return was (with adjustments for mathematical error by respondent) $4,166.02, and thus the understatement of tax liability for 1975 was $94,568.70."↩
5. See
6. Paragraphs (al) through (ao) of respondent's Amendment to Answer (which have been deemed admitted) state:
(al) Petitioner fraudulently, and with intent to evade tax, omitted from her income tax return for the taxable year 1975, taxable income in the amount of $236,249.68.
(am) The petitioner's correct income tax liability for 1975 is $98,734.72, the tax liability reported on the petitioner's 1975 income tax return was (with adjustments for mathematical error by respondent) $4,166.02, and thus the understatement of tax liability for 1975 was $94,568.70.
(an) Petitioner's extensive use of cash and her use of cashier's checks purchased for cash during the 1975 taxable year was fraudulent, with the intent to evade tax on her true taxable income.
(ao) All or part of the underpayment of tax which petitioner was required to show on her 1975 income tax return for the taxable year 1975 is due to fraud.↩