Ashby v. Commissioner

1969 T.C. Memo. 238, 28 T.C.M. 1242, 1969 Tax Ct. Memo LEXIS 55
CourtUnited States Tax Court
DecidedNovember 10, 1969
DocketDocket No. 1159-68.
StatusUnpublished

This text of 1969 T.C. Memo. 238 (Ashby v. Commissioner) is published on Counsel Stack Legal Research, covering United States Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Ashby v. Commissioner, 1969 T.C. Memo. 238, 28 T.C.M. 1242, 1969 Tax Ct. Memo LEXIS 55 (tax 1969).

Opinion

Richard J. Ashby and Klea C. Ashby v. Commissioner.
Ashby v. Commissioner
Docket No. 1159-68.
United States Tax Court
T.C. Memo 1969-238; 1969 Tax Ct. Memo LEXIS 55; 28 T.C.M. (CCH) 1242; T.C.M. (RIA) 69238;
November 10, 1969, Filed

*55 Petitioners incurred indirect moving expenses and real estate selling expenses in connection with their move from Kansas City to San Francisco at the request of petitioner's employer, for which they were reimbursed by the employer. Held, the amounts received as reimbursements are not excludable from petitioners' gross income.

David H. Katz, 220 Montgomery, San Francisco, Calif., for the petitioners. Leo A. McLaughlin and Nicholas G. Stucky for the respondent.

DRENNEN

Memorandum Findings of Fact and Opinion

DRENNEN, Judge: The respondent determined a deficiency of $493.79 in petitioners' income tax for the year 1966.

The only issue for our decision is whether reimbursements received by petitioner Richard J. Ashby from his employer for certain expenses incurred by petitioners in connection with moving from one place*56 of employment to another for the same employer are excludable from petitioners' income for 1966.

Findings of Fact

Some of the facts have been stipulated and are so found.

Petitioners are husband and wife and resided in Sunnyvale, Calif., at the time their petition in this case was filed. They filed their 1966 joint Federal income tax return with the district director, San Francisco, Calif. The return was prepared on the calendar year basis and cash method of accounting.

Richard J. Ashby, who will hereinafter be referred to as petitioner, is an engineering associate employed by American Telephone and Telegraph Company (hereinafter referred to as AT&T). He first entered the employment of AT&T in September 1946, and from that time until April 1956 worked in Pocatello, Idaho, as a telephone transmission maintenance man. In April 1956 petitioner was transferred to Kansas City, Missouri, where he worked as an engineering associate in the Service Engineering Branch.

In January 1966 AT&T formed a new regional office in San Francisco, Calif., to service the area west of the Rocky Mountains. The Kansas City office was handling the operations for that area at that time. The San Francisco*57 office was to commence operations, theretofore carried on by the Kansas City office, on September 12, 1966. Due to the shift of a portion of the functions carried on by the Kansas City office, a number of the employees in the Kansas City office were transferred to San Francisco. The petitioner was one of these employees transferred to San Francisco.

AT&T co-ordinated its efforts to transfer personnel and equipment so that a smooth transition of its operations could be commenced in San Francisco on September 12, 1966. In order to facilitate the transfer of operations, AT&T allowed the employees being transferred to travel to San Francisco to obtain suitable living accommodations prior to the actual date of transfer.

Petitioners traveled to San Francisco on July 17, 1966, where they arranged to purchase a home in Sunnyvale, Calif., and returned to their home in Shawnee Mission, Kansas, on July 25, 1966. They incurred the following expenses in connection with the house-hunting trip to San Francisco:

Air fare for petitioners$458.86
Living, transportation and incidental expenses incurred in connection with the trip268.81
Child care expense incurred at Kansas City during the period of the trip 108.00
Total $835.67
*58 In accordance with company policy, AT&T reimbursed petitioners in 1966 for the $835.67.

The petitioners incurred $1,310.46 of expenses in connection with selling their home in Shawnee Mission, Kansas. In accordance with AT&T's policy, the petitioners were reimbursed the $1,310.46 in 1966. The selling expenses consisted of the following items:

FHA appraisal$ 35.00
Taxes, insurance, and interest122.51
Real estate commission1,035.00
Title policy$ 113.00
Revenue stamps 4.95
Total $1,310.46
1243

On September 8, 1966, petitioners moved out of their home at Shawnee Mission and into a nearby motel until September 10, 1966. During this period they packed their household furniture and effects at their Shawnee Mission home for transport to San Francisco. Living expenses and motel rent incurred during this period were in the amount of $112.91. In accordance with its policy, AT&T reimbursed the petitioners $112.91 in 1966.

Petitioners flew from Shawnee Mission to San Francisco, arriving at San Francisco on September 10, 1966. From September 10, 1966, until September 16, 1966, while awaiting the arrival of furniture and personal effects from Shawnee Mission, *59 petitioners incurred living expenses, including lodging and meals for themselves and their dependents, in the amont of $316.16. In accordance with company policy, AT&T reimbursed the petitioners $316.16 in 1966.

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Cite This Page — Counsel Stack

Bluebook (online)
1969 T.C. Memo. 238, 28 T.C.M. 1242, 1969 Tax Ct. Memo LEXIS 55, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ashby-v-commissioner-tax-1969.