1978 Tax Ct. Memo LEXIS 221">*221 Held: Receipt of Federal Reserve notes constitutes taxable income; respondent's actions in enforcing the income tax laws against petitioner did not violate petitioner's constitutional rights.
MEMORANDUM FINDINGS OF FACT AND OPINION
STERRETT, Judge: Respondent determined a deficiency in petitioner's Federal income taxes for the taxable year ended December 31, 1975 in the amount of $ 2,540. The issues for decision are: (1) whether respondent's actions violated petitioner's constitutional rights; (2) whether petitioner's receipt of Federal Reserve notes constitutes taxable income to him; and (3) if so, whether respondent's reconstruction of petitioner's income was erroneous.
FINDINGS OF FACT
Some of the facts have been stipulated and are so found. The stipulation of facts, together with the exhibits attached thereto, are incorporated herein by this reference.
Michael A. and Barbara A. Smith timely filed their joint Federal income tax return, Form 1040, for their taxable year ended December 31, 1975 with the director, internal revenue service, Ogden, Utah. Michael1978 Tax Ct. Memo LEXIS 221">*222 and Barbara were divorced sometime after filing such return and before Michael filed the petition herein. While Barbara was named in the notice of deficiency, she did not sign the petition herein nor has she filed a consent and ratification of petition in this proceeding. All references herein to petitioner refer, therefore, to Michael.
Michael and Barbara filed a Form 1040 in which most of the spaces were filled in with the word "none" and the rest of the spaces contained various constitutional objections. Thus, for example, they gave their adjusted gross income (line 15) as being "none"; they objected to listing the first names of their dependent children who lived with them (line 6b) saying: "Object -
In determining the amount of deficiency the respondent allowed taxpayers two exemptions ($ 1,500) and a standard deduction of $ 2,600. The total of these two figures ($ 4,100) was then subtracted from the taxpayers' total wages of $ 17,460.31 to arrive at a taxable income of $ 13,360.31. This generated a tax of $ 2,600. The taxpayers were allowed $ 60 in credits creating a total due of $ 2,540, a portion of which is subject to offset by the amount of Federal income tax withheld.
OPINION
Petitioner has advanced for our consideration a plethora of legal theories involving many provisions of the United States Constitution and various other legal arguments. None are novel and all have been consistently rejected by this Court. See
With respect to the substantive issues petitioner bears the burden of showing respondent's determination to be in error.
Decision will be entered for the Respondent.