Opinion · United States Tax Court

Gemma v. Commissioner

Gemma v. Comm’r, 46 T.C. 821 (T.C. 1966)

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1966-09-29
Topic
general

BRUCE, Judge: Respondent determined deficiencies in income tax, additions to tax provided by section 6653(b), I.R.C. 1954, for fraud, additions to tax under section 6654 thereof for failure to pay an estimated income tax for the calendar years 1955, 1956, and 1957, and an addition to tax under section 294(d) (1) (A), I.R.C. 1939, for failure to file a timely declaration of estimated tax for 1954, as follows: [[Image here]] The issues for decision are whether the respondent’s reconstruction of Albert Gemma’s income for the taxable years is correct and whether the petitioners are liable for additions to tax for fraud for each of the taxable years. undings or pact The petitioners are husband and wife. They reside in Providence, R.I., and resided in that city in the calendar years 1946 through 1957. They did not file any Federal income tax returns for the years 1954 through 1957. Since the transactions involving the income herein were carried out by Albert Gemma, he will be referred to herein as the petitioner. During the years 1954 through 1957 petitioner was self-employed as a builder and contractor.

Citator

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