DocketNumber: Docket No. 22033-80.
Citation Numbers: 47 T.C.M. 911, 1984 Tax Ct. Memo LEXIS 651, 1984 T.C. Memo. 24
Filed Date: 1/11/1984
Status: Non-Precedential
Modified Date: 11/20/2020
MEMORANDUM FINDINGS OF FACT AND OPINION
WHITAKER,
FINDINGS OF FACT
At the time of the filing of the petition herein, the petitioners James R. Beard and Kathleen T. Beard (petitioners) resided in New Mexico. They timely filed their joint Federal income tax return for 1977 with the Internal Revenue Service Center at Austin, Texas. Prior to October 1, 1973, petitioner James R. Beard (Beard) was employed with the Department of Defense. On that date, he retired from his employment and began receiving disability annuity payments because of a hearing impairment.His contributions to the plan under which he received those payments were $2,796.
In February 1976, Beard began to work for the City of Albuquerque's Animal Control Center, which employment *652 continued until October 1978. 1976 $ 7,024.00 1977 12,311.00 1978 11,131.78
In the course of his employment during this three-year period, Beard was paid at a rate in excess of the minimum wage, and while employed he performed his duties as required. On October 1, 1978, he resigned from his position with the Albuquerque Animal Control Center. *653 from which he had retired, so that he was "considered to be restored to earning capacity." On July 14, 1980, Beard requested restoration of these payments because of continuing hearing loss and loss of equilibrium, and payments were resumed in June 1981. In December 1980, he was seen by a physician whose report indicates that Beard was suffering from a permanent, severe hearing loss.
On October 15, 1980, respondent issued to petitioners a notice of deficiency which determined a deficiency of $817. The notice indicated that, since Beard had earned in excess of $12,000 during 1977, he was not considered to be disabled. In their amended petition, petitioners claimed that Beard was and has been disabled since October 1, 1973.
OPINION
The issue for decision is whether petitioners are entitled to exclude from gross income in 1977 the disability annuity payments at issue. Generally,
to engage in any substantial gainful activity by reason of any medically determinable physical or mental impairment which can be expected to result in death or which has lastedd or can be expected to last for a continuous period of not less than 12 months.
Substantial gainful activity is defined in the temporary regulations applicable to the year at issue as "the performance of significant duties over a reasonable period of time in work for remuneration or profit * * *."
Petitioners appear to take the position that, because Beard still in fact is suffering *656 from his hearing impairment, he is disabled. However, in order to qualify for the exclusion under
Retitioners have not, therefore, satisfied the permanent and total disability requirements of the applicable statutory and regulatory provisions. We hold for respondent.
1. During 1976 he also worked for two other employers. ↩ 2. Petitioners entered into evidence a letter from the Albuquerque Animal Control Center explaining that Beard's resignation was due to his hearing problem and resulting loss of equilibrium.↩ 3. Beard testified that he did not receive this letter until his Congressman obtained it for him approximately six months after the payments were suspended.↩ 4. Unless otherwise indicated, all statutory references are to the Internal Revenue Code of 1954, as amended. ↩ 5. (d) Certain Disability Payments.-- (1) In General.--In the case of a taxpayer who-- (A) has not attained age 65 before the close of the taxable year, and (B) retired on disability and, when he retired, was permanently and totally disabled, gross income does not include amounts referred to in subsection (a) if such amounts constitute wages or payments in lieu of wages for a period during which the employee is absent from work on account of permanent and total disability.↩ 6. 7. As stipulated, petitioners are entitled, under sec. 72(d), to exclude from gross income in 1977 an amount equal to Beard's original contributions to the plan, or $2,796. Since the notice of deficiency did not take this amount into account, a recomputation is required.↩Footnotes