The executors of the will of Robert Lyons Hague, who died on March 8, 1939, while a resident of the City of New York, have brought this petition to review deficiencies in the income taxes of the decedent for each of the calendar years 1936, 1937, 1938. He filed returns for each of those years in either the second or the third district of New York. The Commissioner, having discovered that the decedent had in each of those years made substantial deposits in two personal checking accounts he maintained in two banks in New York City, determined deficiencies by including in his gross income for each year a substantial portion of such deposits which he had not reported as income. The Tax Court redetermined the deficiencies by excluding from gross income for each year all of the deposits which were identified as coming from nonincome producing sources and including all the remainder which had not been reported in the returns filed. Whether or not that method of redetermining the deficiencies was erroneous is the sole question for review.
Hague had filed petitions for redeterminations but died before they were heard and his executors who went on with the hearings in his behalf were considerably handicapped by the fact that he kept no books of. account. His check stubs, not very illuminating, were about all the records he kept of substantial deposits and withdrawals from the banks. It is true, as has been argued by the petitioners, that proof that bank deposits were made is not enough to show the receipt of income and, a fortiori, of taxable income but the circumstances surroundirig the deposit and withdrawal of money in and from bank accounts may well give such character to the transactions that the Commissioner would be justified in determining that some, or all, of the deposits were income. When that is so the Commissioner’s determination is not arbitrary or capricious, and then the taxpayer has the burden in the Tax Court to show that the Commissioner’s determination was wrong. Wickwire v. Reinecke,
The net taxable income reported by Hague in the joint return he filed with his wife for 1936 was $24,593.69. The Commissioner determined a deficiency by including an additional $343,192.61 and the Tax Court redetermined the deficiency by deducting all additions which were shown to have been other than income and reduced the increase to $266,883.28. In 1937 the net taxable income reported was $47,-718.19; the deficiency determined by the Commissioner was based on the addition of $94,456.19 to the reported income; and was redetermined by the Tax Court in the same amount. In 1938 the net taxable income reported was $60,706.18; the Commissioner determined the deficiency by adding $373,373.96 and, as redetermined by the Tax Court, the deficiency was computed on the addition of $240,407.28 to the reported income.
Under the circumstances shown the determinations of the Commissioner were based on inferences properly drawn from the facts proved by the evidence and were therefore entitled to be accepted as prima facie correct in the proceedings in the Tax Court. There was the evidence that Hague used large amounts from his deposits to pay the debts he contracted in living the life he lived. It has not been uncommon to use bank accounts as evidence of the receipt of income. See, Mauch v. Commissioner, 3 Cir.,
.Affirmed.
