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27 T.C. 270

Heim v. Commissioner

United States Tax Court

Decided November 8, 1956

United States Tax Court · decided 1956-11-08

1. Joint Return -- Signing -- Tacit Consent -- Accepting Benefits. -- The petitioner acquiesced in and gave her tacit consent to the filing of a joint return on which her name was signed by another. 2.

Good law ✅— No negative treatment on recordhow we know

Decision will be entered under Rule 50 · Decided 1956-11-08

How this case has been cited

Cited by 78 later decisions — most recently July 2017 · most notably Furnish v. Commissioner of Internal Revenue (1958), Federbush v. Commissioner (1960)

3 federal appellate ·

1801956196019701980199020002010decided

Later decisions citing this case, by decade. The current decade is in progress, and our corpus holds fewer opinions from the most recent years, so the latest bars are undercounted — not a real decline.

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Fishee, J.,

¶1dissenting: Judge Opper was the trier of the facts in this case. As such, he had the opportunity to see and hear the witnesses as well as to analyze the record. In his dissenting opinion, he says, in part:

There can be no question here that petitioner did not physically sign the return but it is apparently concluded that she authorized someone to do so for her. She testified repeatedly and unequivocally that she did not authorize or ratify the signing or filing of any return, and as the one who heard and observed the witnesses, I believe her. My finding of fact would accordingly be that she did not sign the return nor authorize its signature, that she did not intend to file a joint return, and that accordingly she did not do so.

¶2In my opinion, the views of the trial Judge on the facts should not be disturbed in the absence of clear error. I find no such error here and, in my judgment, the opinion of the majority fails to establish any.

Tietjens and Muxjkonev, JJ., agree with this dissent.
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