History
  • No items yet
midpage
Robert D. Beard v. Commissioner of Internal Revenue
793 F.2d 139
6th Cir.
1986
Check Treatment
PER CURIAM.

Petitioner Robert Beard appeals a United States Tax Court order and decision granting respondent’s motion for summary judgment and assessing petitioner with additional tax and damages. Petitioner filed a petition in the Tax Court challenging a notice of deficiency issued by the respondent, Commissioner of Internal Revenue. The court concluded that no issues of material fact precluded granting respondent’s motion for summary judgment. The court determined that the wages earned by petitioner are taxable; the altered Treasury Form 1040 filed by petitioner did not constitute a return under 26 U.S.C. § 6011 (1982); and that petitioner therefore owed additional tax for willfully filing a late return in violation of 26 U.S.C. §§ 6651(a)(1), 6653(a) (1982).

Upon review of the record, we conclude no genuine issue of material fact precluded the Tax Court from granting summary *140 judgment to respondent. In our view, petitioner’s wages are taxable as gross income, see Eisner v. Macomber, 252 U.S. 189, 207, 40 S.Ct. 189, 193, 64 L.Ed. 521 (1920), and petitioner’s altered 1040 form does not constitute a “return” in compliance with 26 U.S.C. § 6011(a) (1982). See Counts v. Commissioner, 774 F.2d 426, 427 (11th Cir. 1985) (per curiam).

The decision of the Tax Court is hereby affirmed without sanctions against petitioner, based upon the Tax Court decision reported at 82 T.C. 766 (1984).

Case Details

Case Name: Robert D. Beard v. Commissioner of Internal Revenue
Court Name: Court of Appeals for the Sixth Circuit
Date Published: Jun 24, 1986
Citation: 793 F.2d 139
Docket Number: 84-1698
Court Abbreviation: 6th Cir.
AI-generated responses must be verified and are not legal advice.
Log In