DocketNumber: Docket No. 56174.
Citation Numbers: 16 T.C.M. 419, 1957 Tax Ct. Memo LEXIS 151, 1957 T.C. Memo. 100
Filed Date: 6/24/1957
Status: Non-Precedential
Modified Date: 11/21/2020
*151 Dependent: Portion of support furnished:
Memorandum Findings of Fact and Opinion
ATKINS, Judge: The respondent determined a deficiency in the petitioner's income tax for the calendar year 1951 in the amount of $254, which resulted from his disallowance of two dependency credits claimed by the petitioner for his two minor sons on the ground that the petitioner*152 did not furnish over half of the support of the sons.
Findings of Fact
A written stipulation of facts is incorporated herein by this reference.
The petitioner filed a timely return for the calendar year 1951 with the director of internal revenue at Los Angeles, California. In such return the petitioner claimed exemptions for his two sons, Robert Lee Hertwig, age 15, and Fred Hertwig, Jr., age 9.
Prior to the year 1951 the petitioner was divorced from his wife, Pauline, and she was awarded custody of their two sons, Robert and Fred. Prior to 1951 Pauline married W. H. Morehouse. In 1951 Mr. and Mrs. Morehouse and the boys, Robert and Fred, lived together in the Morehouse home in Los Angeles.
During the year 1951, the petitioner, in compliance with the terms of the divorce decree, made monthly support payments of $37.50 to Mrs. Morehouse for each of the two boys, a total of $450 for each boy. In addition to such support payments for the boys, the petitioner spent some additional sums for their support including some clothing, repair of a bicycle, and some meals and refreshments on Saturdays or Sundays when one or the other of the boys was with him. The amount contributed by*153 the petitioner in 1951 for the support of his sons, including the monthly support payments and the additional expenditures referred to, was $535.50 for Robert and $533 for Fred. Robert received the sum of $157.50 as wages in 1951 from the Los Angeles Board of Education.
The amount contributed by Mr. and Mrs. Morehouse in 1951 for the support of each boy was not less than $900. That amount, in the case of each boy, was in addition to support payments made by the petitioner to Pauline Morehouse. Mr. and Mrs. Morehouse claimed the two boys as exemptions in their joint income tax return for the calendar year 1951.
Ultimate Finding
The sons of the petitioner, Robert and Fred, did not receive over half of their support from the petitioner in the calendar year 1951.
Opinion
Among the credits allowed by
The parties have sipulated that the petitioner made monthly support payments of $37.50 for each of the boys (annual payments of $450 each) to the mother of the boys, who in 1951 had remarried and had custody of the boys. The petitioner testified as to additional expenditures that he made for the boys which, it is not questioned, come within the range of the word "support." The testimony of the mother and the step-father of the boys casts a shadow of doubt on some of the expenditures claimed to have been made by the petitioner. But giving full credence to the petitioner's testimony, the maximum contributed by the petitioner toward the support of one son was $535.50, and for the other it $533was. The respondent produced as witnesses the mother of the boys and their step-father. Morehouse, the step-father gave in considerable details figures that he had compiled as establishing the amounts of his expenditures for each of the boys in the year 1951. Some of such expenditures were direct costs such as school incidentals (notebooks, pencils, etc.) and clothes and shoes. *155 Others were allocated portions of total costs of maintaining the family and the home in which they resided, including such items as food, utilities, interest and taxes. In making such allocation Morehouse followed the provision in
Applying the above tests to the facts before us in this case, we hold that the petitioner has not established that he furnished over half of the support for his two sons in the year 1951. The Morehouses, particularly W. H. Morehouse, testified at length concerning living costs of the family in the year 1951, and produced documentary evidence to support much of the testimony. We have not found it necessary to determine the exact amount of such costs. It is clear from the evidence that the cost of support*157 of each of the boys that was borne by the Morehouses was not less than $900 in 1951. As that amount is more than half of the amount borne by them plus the amount contributed by the petitioner, it is not necessary to determine what additional amount of support was furnished by the Morehouses.
On the evidence we hold for the respondent.
Decision will be entered for the respondent.