Opinion · United States Tax Court

Miller v. Commissioner

51 T.C. 915

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1969-03-05
Topic
general

Hoyt, Judge: Respondent determined deficiencies in petitioner’s income tax and additions to tax pursuant to section 6653(b) 1 for the following years: Deficiency Year Tax Addition to tax 1956 $563. 64 $281. 82 1957 519. 00 259. 50 1958 514. 00 257. 00 1959 510. 00 255. 00 1961 780. 60 390. 30 1962 926. 32 463. 16 1963 910. 92 455. 46 Totals. 4, 724. 48 2, 362. 24 Wlien the case was called for trial there was no appearance 'by petitioner or her attorney, and the respondent moved for a default with regard to the deficiencies in income tax. The motion was granted. Previously, the Court had ordered petitioner to show cause why respondent’s proposed stipulation of facts and exhibits should not be accepted as established for the purposes of the case. Petitioner filed no response or objections and at hearing set on the motion consented that the order be made absolute. Accordingly, it was ordered that all those facts set forth by respondent in his proposed stipulation of facts together with the attached exhibits be admitted into evidence and found accordingly pursuant to Rule 31(h)(5).

Citator

Cited by
42 opinions