Mallen v. Commissioner

This appeal is from the determination of a deficiency in income taxes of $4,714.61 for 1920 and $1,259.08 for 1921, a total of $5,973.69. The taxpayer concedes $1,707.61, but appeals as to $4,266.08.

The books of the business were not offered in evidence, and no evidence was offered tending to controvert the correctness of the Commissioner’s determination as to the true net income of the taxpayer for the years in question.

FINDINGS OF FACT.

The taxpayer is a member of a partnership, and her income arises almost solely from the distribution of partnership profits.

Prior to 1920 the business was operated by Herman Mallen, who conducted it under the trade name of H. Z. Mallen & Co. H. Z. Mallen & Co. had regularly made returns on the calendar year basis. The books of the company prior to, as well as during *801and after 1920, were kept on a fiscal year basis ending November 30. Inventories were taken November 30, and extensions based largely on estimates were made to include tbe month of December.

The taxpayer made her income-tax returns for 1920 and 1921 in accordance with showings made from the partnership books handled as above indicated.

The Commissioner refused to accept the returns so made; and, after an audit of the partnership books, adjusted them to a fiscal year basis ending November 30 of each of the years in question; and thus enlarged the distributive share of the partnership profits.

DECISION.

The determination of Commissioner is approved.

Arttndell not participating.