DocketNumber: Docket No. 1733-78.
Filed Date: 4/28/1980
Status: Non-Precedential
Modified Date: 11/21/2020
*438 During 1976, petitioner-husband, a truck driver, maintained a log-book which recorded his hours, mileage, and route.Petitioners also recorded contributions to their church on a wall calendar.
MEMORANDUM FINDINGS OF FACT AND OPINION
IRWIN,
Petitioner-husband (sometimes referred to as Columbus) is employed as a long-haul driver by Roadway Express, Inc. Columbus is required by the Interstate Commerce Commission to keep a daily log-book. The log-book records each driver's time (1) off duty, (2) in a sleeper berth, (3) driving, and (4) on duty (but not driving), mileage and route. The log-book does not show items of expense.
During 1976 Columbus usually drove round-trip from Morristown to Harrisburg, Pennsylvania, and back. Roadway Express paid for any overnight accommodations and for one meal after 17 hours on duty.
On their 1976 tax return petitioners claimed a $4,698 deduction for away-from-home travel expenses. Petitioners computed this amount by multiplying 261 nights by $18.00 per night. Other than the log-book petitioners kept no records of Columbus' travel expenses.
Petitioners also claimed a $1,200 charitable contribution deduction for 1976. Petitioners determined this deduction by totalling the pencilled notations made on a 1976 wall calendar. On certain Sundays on the calendar a figure appears. The sum of these*441 notations is $945. In addition, the notation "Bus 375" is on the back of the calendar. *442 and (3) the business purpose of the expense.
Petitioners' lone evidence of church donations is their 1976 wall calendar, on which certain notations are made. The back of the calendar bears the notation "Bus 375," which petitioners contend was the cost of certain parts purchased by them for the church's bus.
Despite the paucity of relevant records, we are convinced that petitioners made contributions to their church during 1976. Accordingly, under the
1. All statutory references are to the Internal Revenue Code of 1954, as amended and in effect during the year in issue.↩
2. While the sum of all notations made on the calendar is $1,320, petitioners only claimed a $1,200 deduction. The difference of $120 has not been explained by petitioners.↩
3. SEC. 162. TRADE OR BUSINESS EXPENSES.
(a) In General.--There shall be allowed as a deduction all the ordinary and necessary expenses paid or incurred during the taxable year in carrying on any trade or business, including--
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(2) traveling expenses (including amounts expended for meals and lodging other than amounts which are lavish or extravagant under the circumstances) while away from home in the pursuit of a trade or business.↩
4. Prior to the enactment of section 274(d), travel expenses could be approximated under the rule of
5. This is not the first time that petitioners have been before the Court on these issues, although for different taxable years. See