Arthur S. & Josephine G. Kennedy v. Commissioner , 7 T.C.M. 632 ( 1948 )


Menu:
  • Arthur S. and Josephine G. Kennedy v. Commissioner. *
    Arthur S. & Josephine G. Kennedy v. Commissioner
    Docket No. 14399.
    United States Tax Court
    1948 Tax Ct. Memo LEXIS 98; 7 T.C.M. 632; T.C.M. (RIA) 48172;
    August 31, 1948
    1948 Tax Ct. Memo LEXIS 98">*98 Preston D. Orem, Esq., for the petitioners. H. Arlo Melville, Esq., for the respondent.

    LEMIRE

    Memorandum Findings of Fact and Opinion

    The respondent has determined income tax deficiencies for 1943 and 1944 in the respective amounts of $441.27 and $563.76, plus a 5 per cent negligence penalty for each of such years.

    A motion by the respondent, filed after the hearing, to amend the pleadings to conform with the proof and to assert a 50 per cent fraud penalty in each of the taxable years was denied August 3, 1948.

    Findings of Fact

    The petitioners during the taxable years involved were residents of California and were living together as husband and wife. They filed joint returns for each of the years with the collector at Los Angeles. They have since been divorced.

    On their returns for the taxable years the petitioners reported joint income from their employment as welders in the amounts of $5,384.26 for 1943 and $5,523.47 for 1944. They claimed deductions in their returns for each of the years as follows:

    ITEMS19431944
    Contributions
    Catholic Church$ 52.00$104.00
    Red Cross30.0030.00
    Salvation Army30.0030.00
    China Relief5.005.00
    U.S.O.25.0030.00
    Tuberculosis Society2.002.00 lD.A.V.
    5.003.00
    Community Chest5.005.00
    March of Dimes3.005.00
    P.T.A.5.006.00
    Elks and Eagles20.00
    Elks Lodge20.00
    American Legion1.00
    Veterans of Foreign Wars2.502.00
    Rescue Mission1.002.00
    War Chest17.0024.00
    Soldiers and Sailors Relief2.502.00
    Army and Navy Relief2.502.00
    St. Vincent De Paul for
    Italian Relief200.00
    Examiner's Xmas Fund for
    War Wounded10.00
    Total Contributions$207.50$483.00
    Interest
    Mortgage on Home75.0073.80
    Car Contract (Seaboard Fi-
    nance)35.00
    Car Contract (Bank of
    America)40.00
    Furniture (Seaboard Fi-
    nance)40.0033.90
    Personal Loan (Bank of
    America)
    Total Interest$150.00$147.70
    Taxes
    Real Estate35.7536.90
    Personal Property3.253.25
    Licenses12.80
    Licenses (3 cars)43.20
    Telephone1.00
    Train Fare16.00
    Amusement30.00
    Federal Use10.0015.00
    Sales Tax65.00
    Sales Tax (Extra Pur-
    chases)100.00
    City Tax3.50
    City License2.00
    Total Taxes$177.30$200.35
    Losses
    Clothing burned at work100.00120.00
    Roof blown off by wind18.00
    Ran into a bank in Ocean-
    side going at 15 mi. pr.
    hr. because of slippery
    pavement25.00
    Small tools stolen at work20.00
    Total Losses$118.00$165.00
    Deductible Expenses
    Protective Clothing:
    Helmet25.0012.50
    Leather Suits79.0030.00
    Special Work Shoes80.0050.00
    Repairing Work Shoes20.0012.00
    Gloves40.0036.00
    Goggles40.007.00
    Rubber Hat2.00
    Rubber Coat8.00
    Laundry of Working
    Clothes (Only)156.00156.00
    Kit of Tools - Value $150
    (Depreciation 3 yrs.)58.00
    Kit of Tools - Value $175
    (Depreciation 3 yrs.)58.00
    Tools - Yearly Depreciation15.0010.00
    1938 Olds. - Value $400,
    used for work (Depre-
    ciation)200.00
    1944 LaSalle - Value $1,000,
    used for work (Deprecia-
    tion)200.00
    Gasoline220.00200.00
    Oil18.0018.00
    Repairs80.0060.00
    Auto Insurance34.00
    Accident Insurance60.00
    Union Dues168.00125.00
    Unemployment Insurance49.84
    Total Deductible Ex-
    penses$1,269.00$1,058.34
    Medical
    Dr. R. W. Shaeffer - $250;
    Anes. - $20 - Redondo270.00
    Torrance Hospital - $100;
    Gratuity - $10110.00
    Prescriptions, Medicine,
    and Vitamins60.00
    Total Medical$440.00

    1948 Tax Ct. Memo LEXIS 98">*99 The returns for both years were prepared for the petitioners by Edward W. Jackson, described as a Notary Public, who called at their home with a printed questionnaire which he helped them to fill out. This questionnaire contained space for listing income and vaious types of deductions, under the headings, Contributions, Interest, Taxes, Bad Debts, and others. Under Contributions, for example, were the following items, as filled out by the petitioners for 1943:

    CONTRIBUTIONS
    Catholic Church$52.00
    China Relief5.00
    Tuberculosis Society2.00
    Orthopedic Hospital
    March of Dimes3.00
    Birth Control
    Milk Funds
    Political Organization
    Soldiers and Sailors Relief2.50
    Red Cross30.00
    Greek Relief
    D.A.V.5.00
    D.A.R.
    P.T.A.5.00
    American Legion
    Research
    Rescue Mission1.00
    Army and Navy2.50
    Salvation Army30.00
    U.S.O.25.00
    Community Chest5.00
    Goodwill Society10.00
    Boy Scouts
    Frat. Org.20.00
    Vets. Foreign Wars2.50
    Cruelty to Animals
    War Chest17.00
    Miscellaneous
    Elks

    The petitioners' returns were made up by Jackson from these questionnaires. He signed the returns, along with the petitioners, as the person preparing them.

    1948 Tax Ct. Memo LEXIS 98">*100 In his audit of the returns the respondent disallowed all of the deductions claimed for both years. The petitioners alleged in the original petition filed in this proceeding that the respondent erred in disallowing "each and every item" claimed in the return and further alleged, as facts, that "our returns were honestly made. We will prove that we are one of a group of taxpayers who are being persecuted without cause."

    On motion of the respondent to dismiss the proceeding for failure of the petitioners to comply with the Court's Rules of Practice (Rule 6(d), 6(e), and 6(i), the petitioners filed an amended petition which provides in paragraphs 4 and 5 as follows:

    "4. The determination of tax set forth in the said notice of deficiency is based upon the following errors: Internal Revenue Department's disallowance of 1. contributions, 2. interest, 3. taxes, 4. losses, 5. miscellaneous expenses, 6. business expenses, 7. medical expenses, in the amounts of 1. contributions 955.50, 2. interest 431.49, 3. taxes 485.70, 4. losses 433.00, 5. medical expense 524.03 and 6. miscellaneous expense 2968.73.

    "5. The facts upon which the petitioner relies as the basis of this proceeding are1948 Tax Ct. Memo LEXIS 98">*101 as follows: with 1. receipts, 2. affidavits and 3. witnesses I/we will prove that our returns were correctly and honestly made, and that we are one of a group of segregated taxpayers who are being persecuted for a purpose foreign to our tax returns; that the Department's notice of deficiency is in the hands of the Tax Court or is attached hereto. We further rely upon the fact that we did make the 1. contributions amounting to 955.50, 2. paid interest 431.49, 3. paid taxes 485.70, 4. suffered losses 433.00, 5. had net medical expense 2968.73 and our 1945 overassessment should have been 338.50 instead of 21.93. *"

    Both the original and amended petitions were prepared on printed forms furnished by Jackson and signed by him as Notary Public. The respondent's motion to dismiss was denied November 19, 1947.

    Opinion

    LEMIRE, Judge: By disallowing the deduction of all the items claimed by the petitioners in their returns the respondent put the petitioners on their proof of the facts essential to the allowance of the deductions. The only evidence furnished, or offered, by the petitioners is the oral testimony of petitioner, Arthur S. Kennedy. This testimony consists of uncorroborated1948 Tax Ct. Memo LEXIS 98">*102 statements by the witness that the disputed expenditures or contributions were actually made, or the losses sustained, as claimed in the returns. These statements, for the most part, were elicited by counsel in an item by item interrogation, based on the returns themselves. The witness admitted that he had no independent recollection of many of the items claimed in the returns. He had no receipts or authenticating records of any description. He claimed that the receipts which he once had were last seen in the possession of his wife. He did not know her present whereabouts. He had made no effort to secure duplicate receipts or any other written matter verifying his alleged charitable contributions, or other items claimed in the returns. He admitted that most of these items were nothing more than estimates.

    In the circumstances of this case the type of evidence furnished by the petitioners is of little, if any, value. Certainly, it does not meet the burden of proof resting upon the petitioners to establish their legal rights to the deductions claimed.

    The evidence as a whole not only leaves considerable doubt as to the factual basis for many of the deductions claimed but it convinces1948 Tax Ct. Memo LEXIS 98">*103 us that the petitioners themselves gave but little serious attention to the preparation of their returns.

    Notwithstanding the unsatisfactory state of the petitioners' proof, we are convinced that they are entitled to some of the deductions which the respondent has disallowed. We are satisfied, for instance, that in their trade as welders the petitioners were required to provide themselves with certain articles of protective clothing, such as, leather suits, helmets, and gloves; that they were required to pay certain taxes, such as, sales tax and automobile license; and that they made some contributions to recognized charities. The respondent concedes on brief that the petitioners are entitled to a portion of some of the items claimed in their returns. From such means as the evidence affords us we have concluded that the aggregate of the deductions of all classes to which the petitioners are entitled in each of the taxable years is not in excess of $750.

    We think that the respondent has correctly imposed the 5 per cent negligence penalty.

    Decision will be entered under Rule 50.


    Footnotes

    • *. Opinion is vacated pursuant to Tax Court order dated September 30, 1948.

Document Info

Docket Number: Docket No. 14399.

Citation Numbers: 7 T.C.M. 632, 1948 Tax Ct. Memo LEXIS 98

Filed Date: 8/31/1948

Precedential Status: Non-Precedential

Modified Date: 11/21/2020