DocketNumber: Docket Nos. 42256-86, 42257-86
Filed Date: 1/22/1990
Status: Non-Precedential
Modified Date: 11/20/2020
MEMORANDUM OPINION
RUWE,
Docket No. 42256-86 | ||||
Addition to Tax | ||||
Year | Deficiency | Sec. 6653(b) 1977 | $ 4,514.67 | $ 2,257.34 |
1978 | 4,459.74 | 2,229.87 | ||
1979 | 4,265.22 | 2,132.61 |
Docket No. 42257-86 | ||||
Addition to Tax | ||||
Year | Deficiency | Sec. 6653(b) 1980 | $ 26,773.60 | $ 13,386.80 |
1981 | 17,751.00 | 8,875.50 |
1990 Tax Ct. Memo LEXIS 38">*40
Additions to Tax | |||
Year | Deficiency | Sec. 6653(b)(1) | Sec. 6653(b)(2) |
1982 | $ 27,341.00 | $ 13,670.50 | 50 percent of |
the interest due | |||
on $ 27,341.00. |
Respondent's motion for summary judgment raises the following issues: (1) Whether petitioner underreported her income for taxable years 1977 through 1979, and failed to report income for taxable years 1980 through 1982; and (2) whether petitioner is liable for the additions to tax for fraud, as determined by respondent, for the taxable years 1977 through 1982.
During the taxable years in issue, petitioner resided in Metairie, Louisiana, and was married to Theodore J. Adams. Petitioner filed joint Federal income tax returns for taxable years 1977 through 1979. Neither petitioner nor her husband filed Federal income tax returns for taxable years 1980 through 1982.
On October 28, 1986, petitioner timely filed her petitions in these cases. 1990 Tax Ct. Memo LEXIS 38">*41
On November 29, 1988, respondent served upon petitioner a 38-page, 147-paragraph request for admissions pursuant to Rule 90. The requested admissions are set forth in full as Appendix A to this opinion. On that same day, respondent also served upon petitioner interrogatories, pursuant to Rule 71, that required petitioner to explain fully the requested admissions that she denied. Additionally, on December 14, 1988, respondent served upon petitioner a request for production of documents pursuant1990 Tax Ct. Memo LEXIS 38">*42 to Rule 72. Petitioner failed to respond to any of the discovery requests employed by respondent. As a result, on January 17, 1989, respondent filed a motion to compel production of documents. We granted respondent's motion, on January 25, 1989, and ordered petitioner to produce the requested documents for respondent on or before February 10, 1989. Petitioner failed to produce the requested documents. On February 21, 1989, respondent filed a motion to impose sanctions upon petitioner for failure to comply with our order. On February 24, 1989, petitioner filed a motion to continue.
On March 13, 1989, we held a hearing on both motions in New Orleans, Louisiana. Petitioner was present at the hearing. She indicated that she wished to be represented by her husband, Theodore J. Adams, who is a Louisiana attorney and was also present at the hearing. Mr. Adams has not been admitted to practice before this Court. See Rule 200. We informed petitioner and Mr. Adams that we would recognize Mr. Adams as counsel for petitioner provided that he apply for admission before this Court and enter a written appearance in these cases. See Rule 24(a). Subsequent to the hearing, Mr. Adams has1990 Tax Ct. Memo LEXIS 38">*43 not sought admission to practice before this Court nor has he entered an appearance.
At the hearing, Mr. Adams argued that these cases should be continued because his health was impaired, which rendered him unable to adequately prepare for trial. Based upon representations that Mr. Adams would enter an appearance on behalf of petitioner and apply for admission before this Court, we granted petitioner's motion to continue. We held respondent's motion for sanctions under advisement. At the March 13, 1989 hearing, we advised petitioner and Mr. Adams that petitioner had failed to respond to any of the discovery requests and that there were substantial and detailed facts deemed admitted. We questioned how petitioner intended to proceed in light of the admissions, but received no satisfactory answer.
On August 30, 1989, respondent filed a motion for summary judgment, pursuant to
1990 Tax Ct. Memo LEXIS 38">*44
The first issue for decision is whether we should grant respondent's motion for summary judgment as to the income tax deficiencies for the taxable years 1977 through 1982. In his first notice1990 Tax Ct. Memo LEXIS 38">*45 of deficiency, respondent determined that petitioner underreported her income by $ 20,888.00 in 1977, $ 22,198.00 in 1978, and $ 25,397.00 in 1979. In his second notice of deficiency respondent determined that petitioner failed to report income of $ 78,906.50 in 1980, $ 64,465.00 in 1981, and $ 94,056.00 in 1982.
The facts in the instant case are established through respondent's unanswered request for admissions that were served on petitioner on November 29, 1988. Because petitioner failed to respond to respondent's request for admissions, the facts set forth therein are deemed admitted and conclusively established.
The next issue for decision is whether we should grant respondent's motion for summary judgment as to the additions to tax for fraud under
An underpayment of tax is due to fraud only when the taxpayer intentionally violates a known legal duty, with a specific purpose to evade a tax known or believed to be owing.
Respondent relies upon petitioner's deemed admissions in meeting his burden of proof that petitioner's underpayments of tax for the taxable years 1977 through 1982 were due to fraud. Based upon petitioner's deemed1990 Tax Ct. Memo LEXIS 38">*48 admissions contained in Appendix A, which include deemed admissions that the deficiencies for each year are due to petitioner's fraud, we find that respondent has met his burden of proof. During all of the taxable years in issue, petitioner failed to maintain books and records of her income-producing activities. Such conduct constitutes a significant indicia of fraud.
We also find significant, petitioner's conduct through the proceedings in these cases. During discovery, petitioner ignored respondent's discovery1990 Tax Ct. Memo LEXIS 38">*49 requests by failing to respond to his request for admissions, interrogatories, and request for production of documents. We ordered petitioner to produce the requested documents for respondent. Petitioner failed to comply. In spite of her conduct, petitioner moved for a continuance after respondent moved to impose sanctions. We granted petitioner's motion for continuance in order to allow her husband to apply for admission before this Court and file an entry of appearance so that he might represent her. Petitioner's husband has failed to do either. After respondent filed his motion for summary judgment, we ordered petitioner to file a response. She has failed to do so. This conduct illustrates petitioner's lack of good faith.
Finally, petitioner alleged for each of the taxable years in issue that the period of limitations for assessment had expired. We1990 Tax Ct. Memo LEXIS 38">*50 have found that petitioner's underpayments of tax for taxable years 1977 through 1982 were due to fraud. The period of limitations, therefore, does not prohibit the assessment of the tax. Sec. 6501(c).
1. Attached hereto and marked as Exhibit A is an authentic copy of the federal income tax return filed by the petitioner for the taxable year 1977.
2. Attached hereto and marked as Exhibit B is an authentic copy of the federal income tax return filed by the petitioner for the taxable year 1978.
3. Attached hereto and marked as Exhibit C is an authentic copy of the federal income tax return filed by the petitioner for the taxable year 1979.
4. Attached hereto and marked as Exhibit D is an authentic copy of the form 872 Consent to Extend Time executed by petitioner on March 15, 1982 [for taxable year 1978].
5. Attached hereto and marked as Exhibit E is an authentic copy of the form 872 Consent to Extend1990 Tax Ct. Memo LEXIS 38">*51 Time executed by petitioner on August 10, 1983 [for taxable years 1977 and 1978].
6. Attached hereto and marked as Exhibit F is an authentic copy of the form 872 Consent to Extend Time executed by petitioner on or before April 3, 1984 [for taxable years 1977 and 1978].
7. Attached hereto and marked as Exhibit G is an authentic copy of the form 872 Consent to Extend Time executed by petitioner on or before June 14, 1985 [for taxable years 1977, 1978, and 1979].
8. Attached hereto and marked as Exhibit H is an authentic copy of the notice of deficiency dated July 29, 1986, mailed to petitioner pertaining to deficiencies in taxes for the taxable years 1977, 1978, and 1979.
9. Attached hereto and marked as Exhibit I is an authentic copy of the notice of deficiency dated July 29, 1986, mailed to petitioner, Judy F. Adams, pertaining to deficiencies in taxes for the taxable years 1980, 1981, and 1982.
10. During the period December 31, 1976, through December 31, 1982, petitioner and her husband resided at 110 Holly Drive, Metairie, LA.
11. Petitioner and Theodore J. Adams were never legally separated during the period December 31, 1976, through December 31, 1982.
1990 Tax Ct. Memo LEXIS 38">*52 12. Petitioner did not have in force and effect during the period December 31, 1976, through December 31, 1982, any contract or agreement which purports to modify the community property regime established under the law of the State of Louisiana.
13. On her joint returns filed for taxable years ended December 31, 1977, December 31, 1978, and December 31, 1979, petitioner claimed dependency exemptions for her daughters, Leigh and Jennifer.
14. Neither petitioner, nor Theodore J. Adams, filed form 1040 U.S. Individual Income Tax Return for the taxable year ended December 31, 1980.
15. Neither petitioner, nor Theodore J. Adams, filed form 1040 U.S. Individual Income Tax Return for the taxable year ended December 31, 1981.
16. Neither petitioner, nor Theodore J. Adams, filed form 1040 U.S. Individual Income Tax Return for the taxable year ended December 31, 1982.
17. As of December 31, 1976, petitioner's cash on hand was not in excess of $ 50.
18. During the period December 31, 1976, through December 31, 1982, petitioner nor her husband maintained books or records of their receipts and disbursements other than check book registers and statements of account received from1990 Tax Ct. Memo LEXIS 38">*53 financial institutions where petitioner and her husband maintained checking accounts.
19. During the period December 31, 1976, through December 31, 1982, Theodore J. Adams, was self-employed as a construction contractor.
20. During the period December 31, 1976, through December 31, 1982, petitioner nor Theodore J. Adams maintained ledgers of receipts or disbursements pertaining to Theodore J. Adams' self-employment as a construction contractor.
21. During the period December 31, 1976, through December 31, 1982, petitioner, Judy F. Adams, was employed as a real estate agent.
22. During the period December 31, 1976, through December 31, 1982, petitioner did not maintain ledgers of receipts or disbursements pertaining to Judy F. Adams' employment as a real estate agent.
23. During the taxable year ended December 31, 1977, petitioner Judy F. Adams maintained a checking account number XXXX-X1-276 at the First National Bank of Commerce.
24. During 1977, in each of the following months, the following amounts were deposited into First National Bank of Commerce checking account number XXXX-X1-276:
January | a. | $ 697.65 |
b. | 645.32 | |
February | c. | 650.00 |
d. | 355.00 | |
March | e. | 100.00 |
f. | 525.00 | |
g. | 800.00 | |
h. | 800.00 | |
i. | 150.00 | |
April | j. | 600.00 |
k. | 700.00 | |
l. | 500.00 | |
m. | 300.00 | |
May | n. | 500.00 |
o. | 350.00 | |
p. | 150.00 | |
June | q. | 270.00 |
r. | 200.00 | |
July | s. | 3,000.00 |
t. | 300.00 | |
August | u. | 100.00 |
v. | 2,000.00 | |
w. | 5.00 | |
x. | 300.00 | |
September | y. | 320.00 |
z. | 75.00 | |
aa. | 200.00 | |
October | ab. | 425.00 |
ac. | 275.00 | |
ad. | 75.00 | |
ae. | 77.89 | |
November | af. | 450.00 |
ag. | 200.00 | |
December | ah. | 70.00 |
ai. | 225.00 | |
Total | aj. | $ 16,390.86 |
1990 Tax Ct. Memo LEXIS 38">*54 25. During the taxable year ended December 31, 1977, Theodore J. Adams maintained a checking account number XX-X024-0 at the Republic National Bank of Louisiana.
26. During 1977, in each of the following months, the following amounts were deposited into Republic National Bank checking account number XX-X024-0:
March | a. | $ 1,541.70 |
April | b. | 2,565.00 |
c. | 100.00 | |
Total | d. | $ 4,206.70 |
27. During the taxable year ended December 31, 1977, Theodore J. and Judy F. Adams maintained a checking account number XX-XX-X941-1 at the Hibernia National Bank.
28. During 1977, in each of the following months, the following amounts were deposited into Hibernia National Bank checking account number XX-XX-X941-1:
May | a. | $ 20.00 |
b. | 940.62 | |
June | c. | 100.00 |
d. | 300.00 | |
July | e. | 1,000.00 |
f. | 991.80 | |
g. | 175.00 | |
August | h. | 500.00 |
i. | 50.00 | |
j. | 422.50 | |
k. | 325.00 | |
September | l. | 125.00 |
m. | 1,500.00 | |
n. | 400.00 | |
o. | 500.00 | |
p. | 450.00 | |
q. | 600.00 | |
r. | 200.00 | |
October | s. | 200.00 |
t. | 300.00 | |
u. | 250.00 | |
v. | 615.00 | |
w. | 300.00 | |
November | x. | 175.00 |
y. | 1,341.62 | |
December | z. | 80.00 |
aa. | 1,000.00 | |
Total | ab. | $ 12,861.54 |
1990 Tax Ct. Memo LEXIS 38">*55 29. During the taxable year ended December 31, 1978, Theodore J. and Judy F. Adams maintained a checking account number XX-XX-X941-1 at the Hibernia National Bank.
30. During 1978, in each of the following months, the following amounts were deposited into Hibernia National Bank checking account number XX-XX-X941-1:
January | a. | $ 4,070.00 |
February | b. | 322.00 |
March | c. | 1,100.00 |
April | d. | none |
May | e. | 450.00 |
June | f. | 1,500.00 |
July | g. | 3,450.00 |
August | h. | 49,739.39 |
September | i. | none |
October | j. | none |
November | k. | none |
December | m. (sic) | none |
Total | $ 60,631.39 |
31. During the taxable year ended December 31, 1978, petitioner Judy F. Adams maintained a checking account number XXXX-X1-276 at the First National Bank of Commerce.
32. During 1978, in each of the following months, the following amounts were deposited into First National Bank of Commerce checking account number XXXX-X1-276:
January | a. | $ 600.00 |
February | b. | 2,065.00 |
March | c. | 985.00 |
April | d. | 1,265.00 |
May | e. | 775.00 |
June | f. | 772.04 |
July | g. | 1,602.24 |
August | h. | 2,010.00 |
September | i. | 1,155.00 |
October | j. | 9,470.00 |
November | k. | 1,375.00 |
December | l. | 2,769.89 |
Total | m. | $ 24,844.17 |
1990 Tax Ct. Memo LEXIS 38">*56 33. During the taxable year ended December 31, 1979, Theodore J. and Judy F. Adams maintained a checking account number XX-X941-1 at the Hibernia National Bank.
34. During 1979, in each of the following months, the following amounts were deposited into Hibernia National Bank checking account number XX-XX-X941-1:
January | a. | none |
February | b. | $ 260.00 |
c. | 2,085.05 | |
d. | 2,000.00 | |
March | e. | 350.00 |
f. | 100.00 | |
g. | 700.00 | |
h. | 1,420.50 | |
April | i. | 100.00 |
j. | 500.00 | |
k. | 2,300.00 | |
l. | 150.00 | |
m. | 500.00 | |
n. | 300.00 | |
May | o. | 300.00 |
p. | 960.38 | |
q. | 150.00 | |
r. | 600.00 | |
June | s. | 3,315.00 |
t. | 750.00 | |
July | u. | 1,433.70 |
v. | 880.35 | |
August | w. | none |
September | x. | 50.00 |
y. | 75.00 | |
October | z. | 200.00 |
November | aa. | 200.00 |
ab. | 300.00 | |
ac. | 300.00 | |
ad. | 300.00 | |
ae. | 300.00 | |
December | af. | none |
Total | ag. | $ 20,879.98 |
35. During the taxable year ended December 31, 1979, petitioner, Judy F. Adams, maintained a checking account number XXX X99 0 at the Metairie Bank and Trust Company.
36. During 1979, in each of the following months, the following amounts were deposited into Metairie Bank and Trust1990 Tax Ct. Memo LEXIS 38">*57 Company checking account number XXX X99 0:
January | a. | none |
February | b. | none |
March | c. | none |
April | d. | none |
May | e. | none |
June | f. | none |
July | g. | $ 500.00 |
August | h. | none |
September | i. | 150.00 |
j. | 600.00 | |
k. | 150.00 | |
l. | 18.00 | |
m. | 1,600.00 | |
October | n. | 306.00 |
o. | 235.00 | |
p. | 410.00 | |
q. | 70.00 | |
r. | 50.00 | |
s. | 725.00 | |
November | t. | 800.00 |
u. | 50.00 | |
v. | 150.00 | |
w. | 50.00 | |
December | x. | 900.00 |
y. | 50.00 | |
z. | 500.00 | |
Total | aa. | $ 8,064.00 |
37. During the taxable year ended December 31, 1979, Theodore J. Adams maintained a checking account number XX X22 2 at the Metairie Bank and Trust in the name of Delta Construction Company.
38. During 1979, in each of the following months, the following amounts were deposited into Metairie Bank and Trust checking account number XX X22 2:
January | a. | none |
February | b. | none |
March | c. | none |
April | d. | none |
May | e. | none |
June | f. | none |
July | g. | none |
August | h. | $ 6,976.32 |
i. | 2,054.14 | |
j. | 2,347.60 | |
k. | 1,000.00 | |
l. | 908.90 | |
September | m. | 1,698.80 |
n. | 1,396.00 | |
o. | 1,864.00 | |
p. | 1,000.00 | |
q. | 400.00 | |
October | r. | 50.00 |
s. | 375.00 | |
t. | 435.00 | |
November | u. | none |
December | v. | 15.00 |
w. | 20.00 | |
Total | x. | $ 22,093.46 |
1990 Tax Ct. Memo LEXIS 38">*58 39. In the taxable year ended December 31, 1977, petitioner and Theodore J. Adams received a loan or loans in total amount of $ 8,650.00 from Mr. and Mrs. T. J. Adams, Sr.; said loan or loans were the only loans received by petitioner and her husband during the taxable year ended December 31, 1977.
40. In the taxable year ended December 31, 1978, petitioner and Theodore J. Adams received a loan or loans in total amount of $ 6,500.00 from Mr. and Mrs. T. J. Adams, Sr.
41. In the taxable year ended December 31, 1978, petitioner and Theodore J. Adams received a loan or loans in net amount to them of $ 49,100.00 from Citizens Homestead Association.
42. In the taxable year ended December 31, 1978, petitioner and Theodore J. Adams received no loan or loans other than those specified in requests numbered 40 and 41.
43. In the taxable year ended December 31, 1979, petitioner nor Theodore J. Adams received no loan or loans from any source.
44. In the taxable years ended December 31, 1977, December 31, 1978, and December 31, 1979 petitioner nor Theodore J. Adams received any inheritances.
45. In the taxable years ended December 31, 1977, December 31, 1978, and December 31, 1979, petitioner1990 Tax Ct. Memo LEXIS 38">*59 nor Theodore J. Adams received any gifts of money.
46. In the taxable year ended December 31, 1977, petitioner nor Theodore J. Adams received any non-taxable income from any source other than the loans specified in Request for Admissions numbered 40 (sic).
47. In the taxable year ended December 31, 1978, petitioner nor Theodore J. Adams received any non-taxable income from any source other than the loans specified in Request for Admissions numbered 41 and 42.
48. In the taxable year ended December 31, 1979, petitioner (sic) received any non-taxable income from any source.
49. During the taxable year ended December 31, 1977, petitioner, Judy F. Adams, received payments in total amount of $ 2,845.00 from Apartment Finders, Inc.
50. Of the payments set forth in Request for Admissions numbered 49, none was reported as income on petitioners' income tax return for the taxable year ended December 31, 1977.
51. During the taxable year ended December 31, 1978, petitioner, Judy F. Adams, received payments in total amount of $ 6,695.00 from Apartment Finders, Inc.
52. Of the payments set forth in Request for Admissions numbered 51, none was reported as income on petitioners' 1990 Tax Ct. Memo LEXIS 38">*60 income tax return for the taxable year ended December 31, 1978.
53. During the taxable year ended December 31, 1979, petitioner, Judy F. Adams, received payments in total amount of $ 5,538.00 from Apartment Finders, Inc.
54. Of the payments set forth in Request for Admissions numbered 54 (sic), none was reported as income on petitioners' income tax return for the taxable year ended December 31, 1979.
55. Petitioner understated her income tax liability for the taxable year ended December 31, 1977, in the amount of $ 4,514.67.
56. Petitioner understated her income tax liability for the taxable year ended December 31, 1978, in the amount of $ 4,459.74.
57. Petitioner understated her income tax liability for the taxable year ended December 31, 1979, in the amount of $ 4,265.22.
58. The income tax return filed by petitioner for taxable year ended December 31, 1977, was fraudulent with the intent to evade tax.
59. The income tax return filed by petitioner for taxable year ended December 31, 1978, was fraudulent with the intent to evade tax.
60. The income tax return filed by petitioner for taxable year ended December 31, 1979, was fraudulent with the intent to evade1990 Tax Ct. Memo LEXIS 38">*61 tax.
61. All or part of the underpayment of tax required to be shown on the 1977 income tax return of the petitioner is due to fraud.
62. All or part of the underpayment of tax required to be shown on the 1978 income tax return of the petitioner is due to fraud.
63. All or part of the underpayment of tax required to be shown on the 1979 income tax return of the petitioner is due to fraud.
64. During the taxable year ended December 31, 1980, Theodore J. Adams, maintained a checking account number XX-XX-X941-1 at the Hibernia National Bank of Louisiana.
65. The account maintained by Theodore J. Adams, at the Hibernia National Bank of Louisiana bearing number XX-XX-X941-1 was property of the community of acquets and gains existing between the petitioner and Theodore J. Adams at all times during 1980.
66. During 1980, on or about each of the following dates, the following amounts were deposited into Hibernia National Bank of Louisiana checking account number XX-XX-1941 (sic):
a. | 1/2/80 | $ 600.00 |
b. | 1/18/80 | 150.00 |
c. | 2/13/80 | 6,000.00 |
d. | 3/3/80 | 300.00 |
e. | 3/17/80 | 485.00 |
f. | 3/18/80 | 3,500.00 |
g. | April | none |
h. | May | account closed |
i. | Total | $ 11,035.00 |
1990 Tax Ct. Memo LEXIS 38">*62 67. During the taxable year ended December 31, 1980, Theodore J. Adams, maintained a checking account number XX XX X34 2 at the National American Bank.
68. The account maintained by Theodore J. Adams at the National American Bank bearing number XX XX X34 2 was property of the community of acquets and gains existing between the petitioner and Theodore J. Adams at all times during 1980.
69. During 1980, on or about each of the following dates, the following amounts were deposited into National American Bank checking account number XX XX X34 2:
a. | 5/21/80 | $ 50.00 |
b. | 5/27/80 | 1,500.00 |
c. | 6/9/80 | 500.00 |
d. | 6/12/80 | 1,200.00 |
e. | 6/18/80 | 500.00 |
f. | 6/25/80 | 1,000.00 |
g. | 6/30/80 | 250.00 |
h. | 7/9/80 | 1,800.00 |
i. | 7/10/80 | 2,000.00 |
j. | 7/24/80 | 25,376.95 |
k. | 8/15/80 | 12,500.00 |
l. | 8/15/80 | 373.86 |
m. | 8/18/80 | 408.88 |
n. | 9/2/80 | 12,876.88 |
o. | 9/22/80 | 12,688.47 |
p. | 10/10/80 | 12,688.48 |
q. | 10/27/80 | 3,502.00 |
r. | 10/31/80 | 5,455.30 |
s. | 11/24/80 | 3,594.35 |
t. | 12/1/80 | 250.67 |
u. | 12/3/80 | 1,000.00 |
v. | 12/3/80 | 20.00 |
w. | 12/3/80 | 33.62 |
x. | 12/3/80 | 40.00 |
z. | 12/3/80 | 83.13 |
aa. | 12/3/80 | 161.77 |
ab. | 12/3/80 | 618.49 |
ac. | 12/4/80 | 14,861.21 |
ad. | 12/11/80 | 83.13 |
ae. | 12/12/80 | 150.00 |
af. | 12/15/80 | 2,000.00 |
ag. | 12/18/80 | 5,651.63 |
ah. | Total | $ 123,294.89 |
1990 Tax Ct. Memo LEXIS 38">*63 70. During the taxable year ended December 31, 1980, petitioners maintained a savings account at the National American Bank.
71. During 1980, on or about each of the following dates, the following amounts were deposited into the National American Bank savings account referred to in stipulation numbered 70.
a. | January | none |
b. | February | none |
c. | March | none |
d. | April | none |
e. | 5/21/80 | $ 14,000.00 |
f. | 6/19/80 | 3,092.05 |
g. | 6/17/80 | 24.00 |
h. | 7/9/80 | 4,248.15 |
i. | August | none |
j. | September | none |
k. | October | none |
l. | November | none |
m. | December | none |
n. | Total | $ 21,464.20 |
72. During the taxable year ended December 31, 1980, petitioner, Judy F. Adams, maintained a checking account number XXX X99 0 at the Metairie Bank and Trust Co.
73. The account maintained by petitioner, Judy F. Adams, at the Metairie Bank and Trust Co. bearing number XXX X99 0 was property of the community of acquets and gains existing between the petitioners at all times during 1980.
74. During 1980, in each of the following months, the following amounts were deposited into Metairie Bank and Trust Co. checking account number XXX X99 0:
a. | 1/8/80 | $ 200.00 |
b. | 1/15/80 | 1,200.00 |
c. | 1/30/80 | 1,150.00 |
d. | 2/1/80 | 320.00 |
e. | 2/6/80 | 60.00 |
f. | 2/11/80 | 50.00 |
g. | 2/13/80 | 50.00 |
h. | 2/20/80 | 50.00 |
i. | 2/21/80 | 50.00 |
j. | 2/25/80 | 750.00 |
k. | 2/29/80 | 1,170.00 |
l. | 3/10/80 | 100.00 |
m. | 3/17/80 | 125.00 |
n. | 3/19/80 | 900.00 |
o. | 4/1/80 | 986.10 |
p. | 4/7/80 | 125.00 |
q. | 4/15/80 | 115.00 |
r. | 4/25/80 | 1,340.00 |
s. | 4/30/80 | 900.00 |
t. | 5/2/80 | 239.00 |
u. | 5/7/80 | 50.00 |
v. | 5/15/80 | 24,000.00 |
w. | 5/27/80 | 1,100.00 |
x. | 6/3/80 | 975.00 |
y. | 6/9/80 | 300.00 |
z. | 6/13/80 | 80.00 |
aa. | 6/26/80 | 300.00 |
ab. | 7/1/80 | 1,192.80 |
ac. | 7/11/80 | 50.00 |
ad. | 7/18/80 | 90.00 |
ae. | 7/30/80 | 50.00 |
af. | 7/30/80 | 550.00 |
ag. | 8/4/80 | 1,144.00 |
ah. | 8/14/80 | 7.00 |
ai. | 9/3/80 | 1,205.00 |
aj. | 9/24/80 | 260.00 |
ak. | 10/2/80 | 935.00 |
al. | 10/20/80 | 200.00 |
am. | 11/3/80 | 900.00 |
an. | 11/10/80 | 20.00 |
ao. | 11/18/80 | 60.00 |
ap. | 11/24/80 | 250.00 |
aq. | 12/2/80 | 1,250.00 |
ar. | 12/17/80 | 100.00 |
as. | 12/30/80 | 450.00 |
at. | 12/30/80 | 225.00 |
au. | Total | $ 45,598.90 |
1990 Tax Ct. Memo LEXIS 38">*64 75. During the taxable year ended December 31, 1980, Theodore J. Adams, maintained a checking account number XX X22 2 at the Metairie Bank and Trust Co. in the name of Delta Construction Co.
76. The account maintained by Theodore J. Adams at the Metairie Bank and Trust bearing number XX X22 2 was property of the community of acquets and gains existing between the petitioners at all times during 1980.
77. During 1980, on or about each of the following dates, the following amounts were deposited into Metairie Bank and Trust Company checking account number XX X22 2:
a. | 1/4/80 | $ 2,500.00 |
b. | 1/25/80 | 229.83 |
c. | 1/29/80 | 3,129.26 |
d. | 2/14/80 | 500.00 |
e. | March | none |
f. | 4/20/80 | 316.00 |
g. | May | none |
h. | June | none |
i. | July | none |
j. | August | none |
k. | September | none |
l. | October | none |
m. | November | none |
n. | 12/17/80 | 2,000.00 |
o. | Total | $ 8,675.09 |
78. During the taxable year ended December 31, 1981, Theodore J. Adams maintained a checking account number XX XX X34 2 at the National American Bank.
79. The account maintained by Theodore J. Adams at the National American Bank bearing number XX XX X34 2 was property of the community1990 Tax Ct. Memo LEXIS 38">*65 of acquets and gains existing between the petitioner and Theodore J. Adams at all times during 1981.
80. During 1981, on or about each of the following dates, the following amounts were deposited into National American Bank checking account number XX XX X34 2:
a. | January | none |
b. | 2/16/81 | $ 5,000.00 |
c. | 2/17/81 | 10,000.00 |
d. | 3/9/81 | 1,500.00 |
e. | 3/11/81 | 1,500.00 |
f. | 3/16/81 | 1,000.00 |
g. | 3/23/81 | 2,000.00 |
h. | 3/27/81 | 5,000.00 |
i. | 4/15/81 | 1,000.00 |
j. | 4/24/81 | 4,500.00 |
k. | 5/4/81 | 4,506.38 |
l. | 5/8/81 | 887.40 |
m. | 5/22/81 | 4,939.32 |
n. | 5/22/81 | 350.00 |
o. | 5/26/81 | 5,492.50 |
p. | 5/28/81 | 1,041.00 |
q. | 6/1/81 | 1,000.00 |
r. | 6/5/81 | 2,538.61 |
s. | 6/15/81 | 3,250.00 |
t. | 7/6/81 | 1,937.00 |
u. | 7/8/81 | 1,100.00 |
v. | 7/20/81 | 4,173.05 |
w. | 7/31/81 | 5,600.00 |
x. | 8/7/81 | 950.00 |
y. | 8/11/81 | 3,000.00 |
z. | 8/17/81 | 1,450.00 |
aa. | 8/18/81 | 3,793.75 |
ab. | 8/27/81 | 2,000.00 |
ac. | 9/11/81 | 4,131.69 |
ad. | 9/18/81 | 1,000.00 |
ae. | 9/25/81 | 4,233.50 |
af. | 10/9/81 | 8,076.33 |
ag. | 10/15/81 | 500.00 |
ah. | 10/23/81 | 3,879.70 |
ai. | 10/30/81 | 5,800.00 |
aj. | November | none |
ak. | 12/8/81 | 7,599.82 |
al. | 12/8/81 | 2,200.00 |
am. | 12/11/81 | 6,877.00 |
an. | 12/18/81 | 11,100.00 |
ao. | 12/23/81 | 6,896.00 |
ap. | Total | $ 143,803.05 |
1990 Tax Ct. Memo LEXIS 38">*66 81. During the taxable year ended December 31, 1981, petitioner, Judy F. Adams, maintained a checking account number XXX X99 0 at the Metairie Bank and Trust Co.
82. The account maintained by petitioner, Judy F. Adams, at the Metairie Bank and Trust Co. bearing account number XXX X99 0 was property of the community of acquets and gains existing between her and Theodore J. Adams at all times during 1981.
83. During 1981, on or about each of the following dates, the following amounts were deposited into Metairie Bank and Trust Co. checking account number XXX X99 0:
a. | 1/5/81 | $ 800.00 |
b. | 1/14/81 | 50.00 |
c. | 2/3/81 | 1,345.50 |
d. | 2/6/81 | 100.00 |
e. | 2/17/81 | 200.00 |
f. | 3/2/81 | 880.00 |
g. | 3/25/81 | 50.00 |
h. | 3/30/81 | 150.00 |
i. | 4/1/81 | 1,150.00 |
j. | 4/22/81 | 300.00 |
k. | 4/24/81 | 925.00 |
l. | 4/30/81 | 860.00 |
m. | 5/5/81 | 50.00 |
n. | 5/7/81 | 200.00 |
o. | 5/11/81 | 100.00 |
p. | 5/19/81 | 75.00 |
q. | 5/22/81 | 1,100.00 |
r. | 5/27/81 | 30.00 |
s. | 5/27/81 | 76.00 |
t. | 6/1/81 | 950.00 |
u. | 6/5/81 | 300.00 |
v. | 6/22/81 | 400.00 |
w. | 6/25/81 | 50.00 |
x. | 7/1/81 | 1,359.86 |
y. | 8/3/81 | 1,155.00 |
z. | 9/2/81 | 605.00 |
aa. | 9/8/81 | 100.00 |
ab. | 10/1/81 | 1,130.00 |
ac. | 11/3/81 | 950.00 |
ad. | 11/9/81 | 75.00 |
ae. | 11/23/81 | 100.00 |
af. | 12/1/81 | 1,250.00 |
ag. | 12/9/81 | 91.25 |
ah. | 12/11/81 | 200.00 |
ai. | 12/17/81 | 100.00 |
aj. | 12/23/81 | 550.00 |
ak. | 12/23/81 | 450.00 |
al. | 12/13/81 | 225.00 |
am. | Total | $ 18,464.61 |
1990 Tax Ct. Memo LEXIS 38">*67 84. On November 23, 1981, Theodore J. Adams, received payment in the amount of $ 5,975.00 from West End Associates, a partnership.
85. The payment referred to in stipulation numbered 85 (sic) was not deposited into any bank account maintained by either petitioner.
86. On November 30, 1981, Theodore J. Adams, received payment in the amount of $ 6,596.00 from West End Associates, a partnership.
87. The payment referred to in Request For Admission numbered 87 (sic) was not deposited into any bank account maintained by petitioner.
88. On November 30, 1981, Theodore J. Adams, received payment in the amount of $ 3,838.00 from West End Associates, a partnership.
89. The payment referred to in Request For Admissions number 89 (sic) was not deposited into any bank account maintained by petitioner or Theodore J. Adams.
90. On November 30, 1981, Theodore J. Adams, received payment in the amount of $ 2,200.00 from West End Associates, a partnership.
91. The payment referred to in Request for Admissions numbered 91 (sic) was not deposited into any bank account maintained by petitioner or Theodore J. Adams.
92. The income referred to in Request for Admissions numbered1990 Tax Ct. Memo LEXIS 38">*68 85, 87, 89, and 91 is part of the community of acquets and gains existing between petitioner and Theodore J. Adams.
93. During the taxable year ended December 31, 1982, Theodore J. Adams, maintained a checking account number XX XX X34 2 at the National American Bank.
94. The account maintained by Theodore J. Adams, at the National American Bank bearing number XX XX X34 2 was property of the community of acquets and gains existing between the petitioner and Theodore J. Adams at all times during 1982.
95. During 1982, on or about each of the following dates, the following amounts were deposited into National American Bank checking account number XX XX X34 2:
a. | 1/7/82 | $ 1,292.34 |
b. | 1/8/82 | 5,580.07 |
c. | 1/19/82 | 975.00 |
d. | 1/22/82 | 10,565.16 |
e. | 1/29/82 | 3,264.84 |
f. | 2/5/82 | 3,615.11 |
g. | 2/8/82 | 1,512.50 |
h. | 2/12/82 | 4,962.50 |
i. | 2/15/82 | 550.00 |
j. | 2/19/82 | 5,271.00 |
k. | 2/26/82 | 5,091.62 |
l. | 3/5/82 | 5,850.00 |
m. | 3/17/82 | 6,230.32 |
n. | 3/22/82 | 1,600.00 |
o. | 3/22/82 | 3,240.90 |
p. | 3/26/82 | 4,212.00 |
q. | 4/2/82 | 5,586.98 |
r. | 4/9/82 | 6,721.54 |
s. | 4/12/82 | 1,775.00 |
t. | 4/20/82 | 3,314.07 |
u. | 4/23/82 | 7.00 |
v. | 4/23/82 | 8,492.27 |
w. | 4/26/82 | 145.00 |
x. | 5/3/82 | 9,841.85 |
y. | 5/5/82 | 3,000.00 |
z. | 5/7/82 | 3,557.49 |
aa. | 5/17/82 | 2,963.00 |
ab. | 5/21/82 | 3,605.11 |
ac. | 5/27/82 | 583.98 |
ad. | 5/28/82 | 1,292.34 |
ae. | 5/28/82 | 1,462.00 |
af. | 6/8/82 | 1,600.00 |
ag. | 6/8/82 | 2,000.00 |
ah. | 6/17/82 | 2,000.00 |
ai. | 6/24/82 | 600.00 |
aj. | 7/9/82 | 10,000.00 |
ak. | 7/26/82 | 268.50 |
al. | 7/26/82 | 1,050.00 |
am. | 8/2/82 | 200.00 |
an. | 8/3/82 | 600.00 |
ao. | 8/17/82 | 5,160.00 |
ap. | 8/19/82 | 6,556.27 |
aq. | 8/26/82 | 2,100.75 |
ar. | 8/27/82 | 1,500.00 |
as. | 9/10/82 | 550.00 |
at. | 9/15/82 | 125.00 |
au. | 9/16/82 | 598.04 |
av. | 9/17/82 | 1,199.06 |
aw. | 9/21/82 | 965.00 |
ax. | 10/5/82 | 1,825.00 |
ay. | 10/12/82 | 725.00 |
az. | 10/26/82 | 1,192.00 |
ba. | 10/28/82 | 1,292.34 |
bb. | 11/2/82 | 600.00 |
bc. | 11/6/82 | 1,200.00 |
bd. | 11/8/82 | 575.00 |
be. | 12/1/82 | 4,225.00 |
bf. | 12/6/82 | 800.00 |
bg. | 12/20/82 | 200.00 |
bh. | 12/21/82 | 307.51 |
bi. | 12/23/82 | 687.50 |
bj. | 12/28/82 | 2,000.00 |
bk. | Total | $ 168,862.81 |
1990 Tax Ct. Memo LEXIS 38">*69 96. During the taxable year ended December 31, 1982, petitioner, Judy F. Adams, maintained a checking account number 201 699 0 at the Metairie Bank and Trust Co.
97. The account maintained by petitioner, Judy F. Adams, at the Metairie Bank and Trust Company was property of the community of acquets and gains existing between her and Theodore J. Adams.
98. During 1982, in each of the following months, the following amounts were deposited into Metairie Bank and Trust Co. checking account number XXX X99 0:
a. | 1/7/82 | $ 220.00 |
b. | 1/18/82 | 75.00 |
c. | 1/22/82 | 75.00 |
d. | 1/29/82 | 75.00 |
e. | 2/1/82 | 1,150.00 |
f. | 2/11/82 | 75.00 |
g. | 2/17/82 | 50.00 |
h. | 2/19/82 | 50.00 |
i. | 3/1/82 | 950.00 |
j. | 3/5/82 | 50.00 |
k. | 3/16/82 | 650.00 |
l. | 3/22/82 | 100.00 |
m. | 3/25/82 | 100.00 |
n. | 3/25/82 | 50.00 |
o. | 4/2/82 | 900.00 |
p. | 4/6/82 | 100.00 |
q. | 4/9/82 | 100.00 |
r. | 4/13/82 | 100.00 |
s. | 4/22/82 | 75.00 |
t. | 4/28/82 | 50.00 |
u. | 4/30/82 | 100.00 |
v. | 5/3/82 | 2,172.50 |
w. | 5/5/82 | 150.00 |
x. | 5/12/82 | 150.00 |
y. | 5/19/82 | 75.00 |
z. | 5/24/82 | 50.00 |
aa. | 5/25/82 | 1,090.00 |
ab. | 6/3/82 | 300.00 |
ac. | 6/7/82 | 50.00 |
ad. | 6/8/82 | 100.00 |
ae. | 6/10/82 | 300.00 |
af. | 6/15/82 | 100.00 |
ag. | 6/17/82 | 100.00 |
ah. | 6/21/82 | 10.00 |
ai. | 6/22/82 | 300.00 |
aj. | 7/2/82 | 1,732.68 |
ak. | 7/12/82 | 150.00 |
al. | 7/15/82 | 25.00 |
am. | 7/19/82 | 150.00 |
an. | 7/27/82 | 50.00 |
ao. | 7/29/82 | 1,210.00 |
ap. | 8/6/82 | 100.00 |
aq. | 8/19/82 | 50.00 |
ar. | 9/2/82 | 1,161.47 |
as. | 9/7/82 | 9,000.00 |
at. | 9/27/82 | 262.00 |
au. | 10/1/82 | 1,325.00 |
av. | 10/8/82 | 500.00 |
aw. | 10/19/82 | 4,000.00 |
ax. | 11/2/82 | 830.00 |
ay. | 11/29/82 | 4,000.00 |
az. | 11/30/82 | 500.00 |
ba. | 12/28/82 | 450.00 |
bb. | 12/31/82 | 200.00 |
bc. | Total | $ 35,738.65 |
1990 Tax Ct. Memo LEXIS 38">*70 99. Attached hereto and marked as Exhibit J are true and correct copies of forms 1099, Statement for receipt of nonemployee income, for taxable years ended December 31, 1979, 1980, 1981, and 1982, prepared by or on behalf of Apartment Finders, Inc. pertaining to payments received by petitioner, Judy F. Adams.
100. Petitioner, Judy F. Adams, received as income the amounts set forth on the forms 1099 referred to in Request for Admissions numbered 100 (sic).
101. Petitioner, Judy F. Adams, received the forms 1099 referred to in Request for Admissions numbered 100 (sic).
102. Attached hereto as Exhibit K is a true and correct copy of an escrow account statement maintained by Community Improvement Agency pertaining to property located at 1518-20 Melpomene.
103. All income earned by Delta Construction Company was property of the community of acquets and gains existing between the petitioner and Theodore J. Adams.
104. Petitioner, through Delta Construction Company, received the following amounts through Community Improvement Agency by checks dated with the following dates:
a. | 7/24/80 | $ 25,376.95 |
b. | 8/15/80 | 12,500.00 |
c. | 8/28/80 | 12,876.95 |
d. | 9/22/80 | 12,688.47 |
e. | 10/9/80 | 12,688.48 |
f. | 11/20/80 | 3,594.35 |
g. | 11/25/80 | 14,861.21 |
h. | 12/11/80 | 2,200.00 |
i. | 12/11/80 | 7,599.82 |
j. | 1/21/81 | 9,883.97 |
1990 Tax Ct. Memo LEXIS 38">*71 105. Attached hereto as in globo (sic) Exhibit L are true and correct copies of escrow payment authorizations maintained by First Homestead & Savings Association pertaining to property located at 6325 West End Blvd.
106. Theodore J. Adams through Delta Construction Company, received the following amounts by payments authorized on the following dates:
a. | 11/20/81 | $ 1,000.00 |
b. | 11/20/81 | 4,975.00 |
c. | 11/23/81 | 4,975.00 |
d. | 11/23/81 | 1,621.00 |
e. | 11/30/81 | 750.00 |
f. | 11/30/81 | 1,410.00 |
g. | 11/30/81 | 1,500.00 |
h. | 11/30/81 | 118.00 |
i. | 11/30/81 | 2,200.00 |
j. | 12/8/81 | 2,200.00 |
k. | 12/8/81 | 7,599.82 |
l. | 12/11/81 | 1,800.00 |
m. | 12/11/81 | 7,800.00 |
n. | 12/17/81 | 2,200.00 |
o. | 12/17/81 | 8,900.00 |
p. | 12/23/81 | 5,275.00 |
q. | 12/23/81 | 1,621.00 |
r. | 1/8/82 | 384.25 |
s. | 1/8/82 | 725.00 |
t. | 1/8/82 | 730.00 |
u. | 1/8/82 | 2,240.82 |
v. | 1/8/82 | 1,500.00 |
w. | 1/22/82 | 232.52 |
x. | 1/22/82 | 273.00 |
y. | 1/22/82 | 1,213.38 |
z. | 1/22/82 | 75.25 |
aa. | 1/22/82 | 1,850.00 |
ab. | 1/22/82 | 1,621.00 |
ac. | 1/22/82 | 1,875.00 |
ac. (sic) | 1/22/82 | 1,000.00 |
ad. | 1/22/82 | 2,425.00 |
ae. | 1/29/82 | 234.46 |
af. | 1/29/82 | 500.00 |
ag. | 1/29/82 | 500.00 |
ah. | 1/29/82 | 625.00 |
ai. | 1/29/82 | 1,075.00 |
aj. | 1/29/82 | 330.00 |
ak. | 2/8/82 | 450.00 |
al. | 2/8/82 | 750.00 |
am. | 2/8/82 | 94.41 |
an. | 2/8/82 | 1,648.00 |
ao. | 2/8/82 | 210.00 |
ap. | 2/8/82 | 250.00 |
aq. | 2/8/82 | 900.00 |
ar. | 2/8/82 | 288.52 |
as. | 2/8/82 | 24.18 |
at. | 2/8/82 | 94.41 |
au. | 2/12/82 | 2,000.00 |
av. | 2/12/82 | 475.00 |
aw. | 2/12/82 | 500.00 |
ax. | 2/12/82 | 880.00 |
ay. | 2/12/82 | 700.00 |
az. | 2/12/82 | 247.00 |
ba. | 2/12/82 | 160.50 |
bb. | 2/19/82 | 250.00 |
bc. | 2/19/82 | 265.00 |
bc. (sic) | 2/19/82 | 1,621.00 |
bd. | 2/19/82 | 2,425.00 |
be. | 2/19/82 | 635.00 |
bf. | 2/19/82 | 2,500.00 |
bg. | 2/26/82 | 750.00 |
bh. | 2/26/82 | 2,625.00 |
bi. | 2/26/82 | 1,595.00 |
bj. | 2/26/82 | 121.62 |
bk. | 3/5/82 | 1,000.00 |
bl. | 3/5/82 | 2,000.00 |
bm. | 3/5/82 | 1,450.00 |
bb. (sic) | 3/5/82 | 200.00 |
bo. | 3/16/82 | 435.00 |
bp. | 3/16/82 | 645.32 |
bb. (sic) | 3/16/82 | 600.00 |
br. | 3/16/82 | 425.00 |
bs. | 3/16/82 | 1,200.00 |
bt. | 3/16/82 | 1,625.00 |
bu. | 3/16/82 | 750.00 |
bv. | 3/19/82 | 1,600.00 |
bw. | 3/19/82 | 1,576.00 |
bx. | 3/19/82 | 1,621.00 |
by. | 3/19/82 | 43.90 |
bz. | 3/26/82 | 400.00 |
ca. | 3/26/82 | 420.00 |
cb. | 3/26/82 | 350.00 |
cc. | 3/26/82 | 875.00 |
cc. (sic) | 3/26/82 | 2,167.00 |
cd. | 4/2/82 | 353.10 |
ce. | 4/2/82 | 950.00 |
cf. | 4/2/82 | 1,540.00 |
cg. | 4/2/82 | 273.85 |
ch. | 4/2/82 | 1,055.03 |
ci. | 4/2/82 | 1,000.00 |
cj. | 4/2/82 | 415.00 |
ck. | 4/9/82 | 634.67 |
cl. | 4/9/82 | 200.00 |
cm. | 4/9/82 | 200.00 |
cb. (sic) | 4/9/82 | 1,005.00 |
co. | 4/9/82 | 1,600.00 |
cp. | 4/9/82 | 700.00 |
cq. | 4/9/82 | 2,206.87 |
cr. | 4/9/82 | 175.00 |
cs. | 4/20/82 | 107.00 |
ct. | 4/20/82 | 58.80 |
cu. | 4/20/82 | 391.27 |
cv. | 4/20/82 | 1,557.00 |
cw. | 4/20/82 | 800.00 |
cx. | 4/20/82 | 400.00 |
cy. | 4/23/82 | 2,529.27 |
cz. | 4/23/82 | 1,314.00 |
da. | 4/23/82 | 160.00 |
db. | 4/23/82 | 350.00 |
dc. | 4/23/82 | 1,050.00 |
dc. (sic) | 4/23/82 | 175.00 |
dd. | 4/23/82 | 650.10 |
de. | 4/23/82 | 1,000.00 |
df. | 4/23/82 | 1,621.00 |
dg. | 4/27/82 | 265.00 |
dh. | 4/27/82 | 250.03 |
di. | 4/27/82 | 184.80 |
dj. | 4/27/82 | 468.19 |
dk. | 4/27/82 | 750.00 |
dl. | 4/27/82 | 1,500.00 |
dm. | 4/27/82 | 1,990.00 |
db. (sic) | 4/27/82 | 180.00 |
do. | 4/27/82 | 4,253.86 |
dp. | 5/7/82 | 2,211.00 |
dq. | 5/7/82 | 870.00 |
dr. | 5/7/82 | 476.49 |
ds. | 5/14/82 | 200.00 |
dt. | 5/14/82 | 250.00 |
du. | 5/14/82 | 750.00 |
dv. | 5/14/82 | 1,663.00 |
dw. | 5/21/82 | 1,738.00 |
dx. | 5/21/82 | 214.00 |
dy. | 5/21/82 | 765.00 |
dz. | 5/21/82 | 48.76 |
ea. | 5/21/82 | 834.32 |
eb. | 5/28/82 | 1,412.00 |
ec. | 5/28/82 | 50.00 |
ec. (sic) | 6/17/82 | 2,000.00 |
ed. | 8/19/82 | 6,556.27 |
ee. | 8/27/82 | 1,500.00 |
1990 Tax Ct. Memo LEXIS 38">*72 107. In the taxable year ended December 31, 1980, petitioner or Theodore J. Adams received the following amounts on the following dates as loans from the mother of petitioner, Judy F. Adams:
a. | 1/4/80 | $ 2,500.00 |
b. | 1/29/80 | 3,000.00 |
c. | 5/15/80 | 24,000.00 |
d. | Total | $ 29,500.00 |
108. The amounts set forth in Request for Admissions numbered 107 represents all loans made to petitioner and/or Theodore J. Adams by the mother of petitioner, Judy F. Adams, during the taxable year ended December 31, 1980.
109. The loans set forth in Request for Admissions numbered 107 are obligations of the community of acquets and gains which exists between the petitioner and Theodore J. Adams.
110. In the taxable year ended December 31, 1980, petitioner and Theodore J. Adams received the following amounts on the following dates as loans from French Market Homestead Association:
a. | 7/9/80 | $ 1,800.00 |
b. | 10/31/80 | 5,455.30 |
c. | 12/18/80 | 5,651.63 |
d. | Total | $ 12,906.93 |
111. The amounts set forth in Request for Admissions numbered 111 (sic) represents all loans made to petitioner and Theodore J. Adams by French Market Homestead Association1990 Tax Ct. Memo LEXIS 38">*73 during the taxable year ended December 31, 1980.
112. The loans set forth in Request for Admissions numbered 108 (sic) and 111 (sic) are the only loans received by petitioner and Theodore J. Adams from any source during the taxable year ended December 31, 1980.
113. During the taxable year ended December 31, 1980, the following transfers of funds were made from Hibernia Account number XX-XX-X941-1 maintained by Theodore J. Adams, to Metairie Bank Account number 201 699 0 maintained by petitioner, Judy F. Adams:
a. | 2/20/80 | $ 50.00 |
b. | 2/25/80 | 750.00 |
c. | 2/29/80 | 300.00 |
d. | 3/10/80 | 100.00 |
e. | 3/19/80 | 900.00 |
f. | 4/1/80 | 300.00 |
g. | Total | $ 2,400.00 |
114. Other than the loans set forth in stipulation numbered 108 (sic) and 111 (sic) and the transfers set forth in requests numbered 113, no non-taxable deposits were made into any account maintained by Theodore J. Adams during the taxable year ended December 31, 1980.
115. In the taxable year ended December 31, 1981, petitioner or Theodore J. Adams received the following amounts on the following dates as loans from French Market Homestead Association:
a. | 5/4/81 | $ 4,506.38 |
b. | 5/8/81 | 887.40 |
c. | 5/22/81 | 4,939.32 |
d. | 6/5/81 | 2,538.61 |
e. | 6/15/81 | 3,250.00 |
f. | 7/6/81 | 1,397.00 |
g. | 7/31/81 | 5,600.00 |
f. (sic) | 8/18/81 | 3,793.75 |
i. | 9/11/81 | 4,131.69 |
j. | 9/25/81 | 4,233.50 |
k. | 10/9/81 | 8,076.33 |
l. | 10/23/81 | 3,879.70 |
1990 Tax Ct. Memo LEXIS 38">*74 116. No loans other than those set forth in Request for Admissions numbered 115 were made to petitioner or Theodore J. Adams during the taxable year ended December 31, 1981.
117. In the taxable year ended December 31, 1982, petitioner nor Theodore J. Adams received no loan or loans from any source.
118. In the taxable year ended December 31, 1982, there were no transfers of funds between bank accounts maintained by or on behalf of petitioner or Theodore J. Adams.
119. In the taxable year ended December 31, 1982, petitioner nor Theodore J. Adams made any deposit of non-taxable income into any banking account maintained by them either jointly or individually.
120. In the taxable years ended December 31, 1980, December 31, 1981, and December 31, 1982, petitioner nor Theodore J. Adams received any inheritances.
[121.]
122. In the taxable years ended December 31, 1980, December 31, 1981, and December 31, 1982, petitioner nor Theodore J. Adams received any gifts of money.
123. As of December 31, 1979, petitioner's cash on hand was not in excess of $ 50.
124. Petitioner and Theodore J. Adams owned property bearing municipal number1990 Tax Ct. Memo LEXIS 38">*75 110 Holly Street, Metairie, Louisiana.
125. Petitioner and Theodore J. Adams owned property bearing municipal number 3942 Laurel Street, New Orleans, Louisiana during the period December 31, 1979, through December 31, 1982; said property was property of the community of acquets and gains existing between petitioner and Theodore J. Adams during said period.
126. The property bearing municipal number 3942 Laurel Street was formerly a movie theatre which was renovated and converted to use as residential apartments by petitioner and Theodore J. Adams.
127. The property bearing municipal number 3942 Laurel Street was put into service as a residential apartment building during 1982.
128. During the taxable year ended December 31, 1982, petitioner's cost basis in the property bearing municipal number 3942 Laurel Street was $ 200,000.00.
129. Petitioner's basis in the property bearing municipal number 3942 Laurel Street is properly allocated as follows: building and improvements: $ 160,000.00; land: $ 40,000.00.
130. The property bearing municipal number 3942 Laurel Street generated rental income in the following amounts during the taxable year ended1990 Tax Ct. Memo LEXIS 38">*76 December 31, 1982:
a. | Campbell lease | $ 6,075.00 |
b. | Viennie lease | 5,850.00 |
c. | Hurley lease | 1,800.00 |
d. | Unganst lease | 4,050.00 |
e. | Kincaid lease | 7,800.00 |
f. | Total | $ 25,575.00 |
131. In addition to the rental income specified in Request for Admissions numbered 130, petitioner also received $ 2,950.00 as total security deposits for apartments at the property bearing municipal number 3942 Laurel Street during the taxable year ended December 31, 1982.
132. Petitioner nor Theodore J. Adams owned any real property other than the property bearing municipal number 110 Holly Street, Metairie, Louisiana, and the property bearing municipal number 3942 Laurel Street, New Orleans, Louisiana, during the period December 31, 1976 to December 31, 1982.
133. The property bearing municipal number 3942 Laurel Street is not a "certified historic structure" nor is it a "qualified rehabilitated building" within the meaning of
134. At all times from December 31, 1979, until December 31, 1982, Theodore J. Adams, was the sole proprietor of Delta Construction Company.
135. On or about October 23, 1981, petitioner, 1990 Tax Ct. Memo LEXIS 38">*77 Theodore J. Adams, d/b/a Delta Construction Co., entered into a contract to provide construction services to West End Associates, a Louisiana Partnership.
136. The contract price of the contract referred in Request for Admissions numbered 135 was $ 243,908.00.
137. The contract referred in Request for Admissions numbered 135 was completed on or before March 11, 1983.
138. The contract price referred to Request for Admissions numbered 135 was paid in full as work was completed throughout the term of the contract.
139. Petitioner, Judy F. Adams, understated her income tax liability for the taxable year ended December 31, 1980, in the amount of $ 26,773.60
140. Petitioner, Judy F. Adams, understated her income tax liability for the taxable year ended December 31, 1981, in the amount of $ 17,751.00
141. Petitioner, Judy F. Adams, understated her income tax liability for the taxable year ended December 31, 1982, in the amount of $ 27,341.00.
142. The failure of petitioner, Judy F. Adams to file form 1040 U.S. Individual Income Tax return for taxable year ended December 31, 1980, was fraudulent with the intent to evade tax.
143. The1990 Tax Ct. Memo LEXIS 38">*78 failure of petitioner, Judy F. Adams to file form 1040 U.S. Individual Income Tax return for taxable year ended December 31, 1981, was fraudulent with the intent to evade tax.
144. The failure of petitioner, Judy F. Adams to file form 1040 U.S. Individual Income Tax return for taxable year ended December 31, 1982, was fraudulent with the intent to evade tax.
145. All or part of the underpayment of tax required to be shown on the 1980 income tax return of the petitioner, Judy F. Adams, is due to fraud.
146. All or part of the underpayment of tax required to be shown on the 1981 income tax return of the petitioner, Judy F. Adams, is due to fraud.
147. All or part of the underpayment of tax required to be shown on the 1982 income tax return of the petitioner, Judy F. Adams, is due to fraud.
1. On March 23, 1988, this Court granted respondent's motion to consolidate the cases at docket Nos. 42257-86 and 42258-86 with the case at docket No. 42256-86 for trial, briefing and opinion. By order dated July 27, 1988, this Court severed docket No. 42258-86 from the above-docketed consolidated group of cases.↩
2. Unless otherwise indicated, all section references are to the Internal Revenue Code, as amended and in effect for the years in issue, and all Rule references are to the Tax Court Rules of Practice and Procedure.↩
3. In one part of respondent's notice of deficiency for taxable years 1980 through 1982, respondent incorrectly stated that the additions to tax under
4. The petition found at docket No. 42256-86 was originally filed by petitioner and her husband, Theodore J. Adams. Mr. Adams was subsequently dismissed from this case for lack of jurisdiction.
5. Because we have granted respondent's motion for summary judgment, respondent's motion to impose sanctions is denied.↩