DocketNumber: Docket No. 17801-80.
Citation Numbers: 43 T.C.M. 446, 1982 Tax Ct. Memo LEXIS 697, 1982 T.C. Memo. 47
Filed Date: 2/3/1982
Status: Non-Precedential
Modified Date: 11/20/2020
MEMORANDUM FINDINGS OF FACT AND OPINION
DRENNEN,
Petitioners and respondent executed a stipulation of facts which is incorporated herein. The relevant facts are not in dispute. At the time petitioners filed their petition herein they were residents of Lewiston, Idaho. Their 1978 Federal income tax return was filed with the Internal Revenue Service Center at Ogden, Utah.
Petitioners are, and were at all times1982 Tax Ct. Memo LEXIS 697">*699 relevant hereto, naturalized citizens of the United States. The parties are in agreement that petitioners totally supported the three dependents in question. Further, there is no dispute that the three dependents resided in and were residents of Taiwan during the year 1978. Respondent agrees that petitioners met all the statutory provisions relating to the allowance of the dependency exemptions except for the requirement that the dependents be citizens or residents of the United States or of a country contiguous to the United States pursuant to section 152(b)(3).
1. All section references are to the Internal Revenue Code of 1954, as amended, unless otherwise indicated. ↩
2. Pursuant to the order of assignment, on the authority of the "otherwise provided" language of
3. Sec. 152-Dependent Defined.
(b) Rules Relating to General Definition.-For purposes of this section -
(3) The term "dependent" does not include any individual who is not a citizen or national of the United States unless such individual is a resident of the United States or of a country contiguous to the United States. The preceding sentence shall not exclude from the definition of "dependent" any child of the taxpayer legally adopted by him, if, for the taxable year of the taxpayer, the child has as his principal place of abode the home of the taxpayer and is a member of the taxpayer's household, and if the taxpayer is a citizen or national of the United States. ↩
4. Petitioners raised this same issue based on the same arguments for the year 1977 in a Small Tax Case decided under
United States v. Maryland Savings-Share Ins. Corp. , 91 S. Ct. 16 ( 1970 )
Maryland Savings-Share Insurance Corp. v. United States , 308 F. Supp. 761 ( 1970 )
Jan J. Wexler v. Commissioner of Internal Revenue , 507 F.2d 843 ( 1974 )
Ahmed F. Habeeb and Magda E. Habeeb v. Commissioner of ... , 559 F.2d 435 ( 1977 )