DocketNumber: Docket No. 94820.
Citation Numbers: 22 T.C.M. 588, 1963 Tax Ct. Memo LEXIS 219, 1963 T.C. Memo. 125
Filed Date: 5/6/1963
Status: Non-Precedential
Modified Date: 11/21/2020
Memorandum Findings of Fact and Opinion
FAY, Judge: The respondent determined a deficiency of $193 in petitioner's income tax for the taxable year 1957. The only issues for decision are:
(1) Whether the second floor of petitioner's dwelling constituted rental property so as to permit the deduction of a loss resulting from its vacancy in the year 1957; and
(2) Whether the petitioner is entitled to dependency exemptions for her parents, both of whom resided with her during the year 1957.
Findings of Fact
The petitioner, a cash basis taxpayer, filed her individual income tax return for 1957 with the district director of internal revenue at St. Paul, Minnesota.
In 1952 petitioner acquired a two-family dwelling located in Austin, Minnesota. From 1952 to date the petitioner and her parents resided on the first floor of the dwelling. Beginning in 1954, petitioner's sister occupied the second floor. During 1954 petitioner's sister paid rent of $540 and during the period between January 1, 1956, and August 1956 the sister paid rent totaling $180. In August*220 1956 petitioner's sister moved out of the petitioner's dwelling. Immediately after her sister moved, petitioner put a "For Rent" sign in the window of her house and also put a notice in a neighborhood store that she had an apartment to rent. During 1957 petitioner showed the apartment to numerous applicants, but for one reason or another the apartment was not considered satisfactory by the applicants. As a result, the apartment remained vacant in 1957. During 1957 petitioner incurred expenses in connection with the maintenance of the second floor apartment totaling $368. These expenses were attributable to electricity, taxes, repairs, interest, insurance and depreciation.
In 1957 petitioner's parents were each in their early 70's. Petitioner's mother in 1957 received $180 from social security from the United States Government and $479.16 in old-age assistance payments from the State of Minnesota. Petitioner's mother had no other source of income. During 1957 petitioner's father received social security payments from the United States Government totaling $360 and State old-age assistance payments of $281.16. In addition, the State of Minnesota paid certain medical expenses of petitioner's*221 father totaling $85.71. *222 case totaled $368.
Issue 2
Petitioner contends that she furnished more than one-half of the support of each of her parents for the year 1957.
Petitioner's father received nontaxable 1. The State of Minnesota originally paid $124.21 for medical expenses of petitioner's father. However, the sum of $38.50 was repaid the State by petitioner's father.↩ 2. See Footnotes