Alexander v. Commissioner

1984 T.C. Memo. 653, 49 T.C.M. 327, 1984 Tax Ct. Memo LEXIS 22
United States Tax Court·Decided December 18, 1984·No. Docket No. 3300-82.·Unpublished·Cited by 1 cases

Opinion

DAVID R. ALEXANDER and LILLIAN A. ALEXANDER, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Alexander v. Commissioner
Docket No. 3300-82.
United States Tax Court
T.C. Memo 1984-653; 1984 Tax Ct. Memo LEXIS 22; 49 T.C.M. (CCH) 327; T.C.M. (RIA) 84653;
December 18, 1984.
David R. Alexander, pro se.
Janine L. Hook, for the respondent.

GOFFE

MEMORANDUM FINDINGS OF FACT AND OPINION

GOFFE, Judge: The Commissioner determined deficiencies in petitioners' Federal income*24 tax for the taxable years 1977, 1978, and 1979 and additions to tax under section 6653(a) 1 as follows:

TaxpayerYearDeficiencySec. 6653(a)
David R. Alexander and
Lillian A. Alexander1977$6,668$333.40
David R. Alexander19783,204160.20
David R. Alexander and
Lillian A. Alexander19792,847142.35

After concessions by the parties, the issues for decision are: (1) whether petitioners may deduct business mileage expenses, employee business expenses, and various itemized deductions; (2) whether petitioners sustained a casualty loss deductible under section 165(c)(3), or recognized gain upon reimbursement in excess of adjusted basis, for damages caused by fire at their residence; (3) whether petitioner David R. Alexander is entitled to claim an exemption for his wife on his married, filing separately, individual Federal income tax return for the taxable year 1978; and (4) whether petitioners are liable for*25 the additions to tax under section 6653(a) for negligence or intentional disregard of rules and regulations.

FINDINGS OF FACT

Some of the facts have been stipulated. The stipulation of facts, supplemental stipulation of facts, and accompanying exhibits are so found and incorporated herein by reference.

David R. Alexander (Mr. Alexander) and Lillian A. Alexander (Mrs. Alexander), husband and wife, were residents of Vancouver, Washington, at the time the petition in this case was filed. Petitioners filed joint Federal income tax returns for the taxable years 1977 and 1979. Mr. Alexander filed a married, filing separately, individual Federal income tax return for the taxable year 1978. Mrs. Alexander filed no income tax return for the taxable year 1978.

On March 4, 1966, Mrs. Alexander purchased residential real property located at 2734 N.E. Wasco Street, Portland, Oregon, for $7,250. No allocation was made in the purchase contract between the real estate and the residence. However, the county assessor's statement for 1967-1968 shows assessed values as follows:

LandBuildingTotal
Assessed Value$300$1,580$1,880
Percentage15.96%84.04%100.00%

*26 Petitioners married in 1974, and resided at this address. The residence and personal property contained therein were damaged in a fire on August 15, 1977. Petitioners carried insurance on the real and personal property in the amounts of $25,000 and $12,500, respectively. Petitioners were reimbursed for their losses by their insurance company in the amounts of $23,000 for the real property and $12,500 for the personal property.

There were two separate valuations of the personal property damage. An arson investigation report prepared by the State of Oregon Fire Marshall's office valued the contents of the residence at $62,000, and the loss to those contents at $27,000. The insurance company adjuster listed the contents of the residence on a 13-page report and estimated the replacement value of the damaged personal property at $74,731.97, with an adjusted basis of $37,365.98. Some of the personal property for which petitioners received reimbursement were purchased by petitioners at garage sales or received by petitioners as gifts. The majority of the personal property balonged to Mrs. Alexander.

Petitioners claimed casualty losses from this fire on Schedule A of*27 the Federal income tax returns for the taxable years 1977, 1978, and 1979 as follows:

197719781979

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Alexander v. Commissioner, 1984 T.C. Memo. 653, 49 T.C.M. 327, 1984 Tax Ct. Memo LEXIS 22 (tax 1984).

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