Bate v. Commissioner

1967 T.C. Memo. 165, 26 T.C.M. 780, 1967 Tax Ct. Memo LEXIS 95
CourtUnited States Tax Court
DecidedAugust 9, 1967
DocketDocket No. 2065-66.
StatusUnpublished

This text of 1967 T.C. Memo. 165 (Bate 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
Bate v. Commissioner, 1967 T.C. Memo. 165, 26 T.C.M. 780, 1967 Tax Ct. Memo LEXIS 95 (tax 1967).

Opinion

Charles W. Bate v. Commissioner.
Bate v. Commissioner
Docket No. 2065-66.
United States Tax Court
T.C. Memo 1967-165; 1967 Tax Ct. Memo LEXIS 95; 26 T.C.M. (CCH) 780; T.C.M. (RIA) 67165;
August 9, 1967
Charles W. Bate, pro se, 1226 42nd Ave., San Francisco, Calif. Robert M. Zimmerman, for the respondent.

FAY

Memorandum Findings of Fact and Opinion

FAY, Judge: Respondent determined a deficiency of $162.55 in petitioner's income tax for the taxable*96 year 1963.

There are two issues for decision: (1) Is petitioner entitled to use the "head of household" tax rates in section 1(b)(1) of the Internal Revenue Code of 19541 and (2) is petitioner entitled to a dependency deduction under section 151(e)(1) for his daughter, Deborah.

Findings of Fact

Some of the facts have been stipulated, and the stipulation of facts, together with the exhibits attached thereto, is incorporated herein by this reference.

Charles W. Bate (hereinafter referred to as petitioner) filed a Federal individual income tax return for the taxable year 1963 on the cash basis with the district director of internal revenue at San Francisco, California. Petitioner was a legal resident of San Francisco, California, when he filed the petition in this case.

Petitioner and Mary Jane Bate (hereinafter referred to as Mary) were married in 1946. Deborah Mia Bate (hereinafter referred to as Deborah) was born on September 24, 1949. She is the legally adopted daughter of petitioner and Mary. Deborah was not married during 1963.

On January 24, 1955, the*97 Superior Court of the State of California in and for the County of San Francisco, California, granted a final decree of divorce to Mary. The decree gave "actual physical" custody of Deborah to Mary, subject to a right of petitioner to "see and visit with" Deborah and to have her with him on weekends. The decree also ordered petitioner to pay Mary $50 a month for Deborah's support until Deborah's twenty-first birthday.

In the years following the divorce, petitioner, Mary, and Deborah developed a pattern whereby Deborah stayed with Mary during the school week and with petitioner on weekends and school vacations.

During 1963, Mary and R. V. Cottam (hereinafter referred to as Cottam) jointly occupied a house owned by Cottam in Los Gatos, California. There was a room in the house set aside for Deborah's private use.

During 1963, petitioner rented and occupied a two-bedroom apartment in San Francisco, California. Petitioner set aside one of the bedrooms for Deborah's private use. In 1963, petitioner paid more than one-half of the total costs of maintaining the apartment including, among other items, rent, utilities, and groceries consumed on the premises.

In the calendar year 1963, *98 Deborah spent at least 113 days at petitioner's apartment. She spent at least 207 days in Cottam's house. She spent 34 days on a summer trip to the East. 2

During 1963, Deborah kept about threequarters of her clothing at Cottam's house. She kept the remainder of her clothes at petitioner's apartment.

In 1963, Deborah earned $68 doing small jobs for petitioner and Mary. Deborah deposited $24 of this in a bank account and spent the rest in the same manner as her allowance.

Pursuant to the above-mentioned divorce decree, petitioner paid $600 to Mary in 1963 for the use and maintenance of Deborah. Petitioner gave Deborah $96 during the year to cover part of her bus fares in traveling between Los Gatos and San Francisco. Petitioner in 1963 spent $150 for such items as Deborah's clothing, entertainment, and education. When Deborah traveled to the East, petitioner spent $128.08 to defray part of the cost of her trip.

In 1963, petitioner paid a premium of $174.12 on an ordinary (nonterm) life insurance policy. Petitioner is the owner and insured of the policy. Deborah was the beneficiary of*99 the policy in 1963. Petitioner had the right to change the beneficiary.

During 1963, petitioner spent $2 and $2.25 for, respectively, a copy of a birth certificate and a copy of Deborah's adoption proceedings. Petitioner used these documents to claim Social Security benefits. In 1963, petitioner paid rent for his apartment of $1,038. He paid $1,539 for general household expenses such as utilities and groceries. Deborah consumed part of the groceries when she stayed at petitioner's apartment. She usually ate breakfast, lunch, and dinner at his apartment on both Saturday and Sunday.

Mary spent $1,141.21 during 1963 for the use and maintenance of Deborah. This was for items such as dentist's visits, furnishings for Deborah's room in the Cottam house, bus fares, wardrobe, food, school expenses, and utilities. Of this figure, $541.21 represented Mary's money and $600 represented money received from petitioner, referred to above.

Mary purchased a piano in 1963. Her payments in that year for the piano totalled $172.65. Both Mary and Deborah used the piano.

Mary did not pay rent to Cottam. She paid for the food consumed by Cottam, Deborah, and herself. She also paid the utility and*100 telephone bills of the Cottam house. In return, Deborah and Mary received rent-free lodgings.

The fair rental value of Deborah's private room in the Cottam house was $18 per week. Cottam's costs in maintaining the house during 1963 totalled $2,760.

When Deborah went East in the summer of 1963, she visited and traveled with Ruth Deck (hereinafter referred to as Ruth). Ruth gave $300 to cover part of the cost of Deborah's travel to and from the East. In addition, Ruth bought the food which Deborah consumed while staying at Ruth's house in Maine for two weeks. 3

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332 F.2d 671 (Ninth Circuit, 1964)
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23 T.C. 1046 (U.S. Tax Court, 1955)
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36 T.C. 547 (U.S. Tax Court, 1961)
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47 T.C. 340 (U.S. Tax Court, 1966)

Cite This Page — Counsel Stack

Bluebook (online)
1967 T.C. Memo. 165, 26 T.C.M. 780, 1967 Tax Ct. Memo LEXIS 95, Counsel Stack Legal Research, https://law.counselstack.com/opinion/bate-v-commissioner-tax-1967.