Boyd v. Commissioner

1981 T.C. Memo. 528, 42 T.C.M. 1136, 1981 Tax Ct. Memo LEXIS 208
CourtUnited States Tax Court
DecidedSeptember 22, 1981
DocketDocket No. 5893-79.
StatusUnpublished
Cited by1 cases

This text of 1981 T.C. Memo. 528 (Boyd 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
Boyd v. Commissioner, 1981 T.C. Memo. 528, 42 T.C.M. 1136, 1981 Tax Ct. Memo LEXIS 208 (tax 1981).

Opinion

CAUTHION T. BOYD, JR., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Boyd v. Commissioner
Docket No. 5893-79.
United States Tax Court
T.C. Memo 1981-528; 1981 Tax Ct. Memo LEXIS 208; 42 T.C.M. (CCH) 1136; T.C.M. (RIA) 81528;
September 22, 1981.
Robert G. Elrod, for the petitioner.
Michael J. Rusnak, for the respondent.

FAY

MEMORANDUM FINDINGS OF FACT AND OPINION

FAY, Judge: Respondent determined deficiencies of $ 3,838.92 and $ 4,369.91 in petitioner's Federal income taxes for 1976 and 1977, respectively. The only issue for decision is whether petitioner*209 may exclude from his gross income any amount as a "rental allowance" under section 107(2). 1

FINDINGS OF FACT

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

Cauthion T. Boyd, Jr. (hereinafter petitioner) was a resident of Indianapolis, Ind., when he filed his petition in this case.

Petitioner has been an ordained minister in good standing of the Church of God, Anderson, Ind., since 1944. In early 1971, he began working as a chaplain with the Indianapolis Police Department and during 1976 and 1977, the years in issue, served as the senior chaplain. As senior chaplain, petitioner counseled police personnel and their families, contacted and counseled families of persons killed or seriously injured, provided assistance to crime victims, and performed other general ministerial functions.

The chaplaincy program at the Indianapolis Police Department was established through the joint efforts of that department and the Church Federation of Greater Indianapolis, Inc. (hereinafter the Federation), an Indiana nonprofit corporation. The Federation*210 is an organization of Christian congregations and denominations in an eight-county metropolitan area, and provides a variety of ministries and social services. 2

Contained within the Federation is a special ministries unit. In the late 1960's, that unit began working informally with the police department to set up a chaplaincy program. Once agreement was reached as to the roles of the various parties, the Federation Board of Directors and personnel committee selected petitioner as a police chaplain.

As previously noted, petitioner began his duties as a police chaplain in early 1971. Originally, petitioner's salary was spaid by the Federation, but with the understanding that the financial burden would, in time, shift to the police department. Accordingly, in mid-1972, the police department began paying petitioner's salary through the regular fiscal processes of the City of Indianapolis. Petitioner was paid $ 15,363.04 and $ 15,527.98 by the City of Indianapolis*211 in 1976 and 1977, respectively. He received no payments from the Federation during those years.

While employed as a police chaplain, petitioner was under the direct supervision of the chief of police and the assistant chief of police. However, the Federation retained supervision over petitioner's ecclesiastical performance, and maintained day-to-day contact with petitioner and other chaplains. If a problem arose concerning a police chaplain, a police department official would usually contact the Federation to resolve the matter. Additionally, when a chaplaincy vacancy occurred, the Federation assumed primary responsibility for finding a qualified person to fill that vacancy.

Since petitioner was first hired as a police chaplain, the Federation has annually designated, in advance, a specific amount of petitioner's salary as a housing allowance even though petitioner's salary has been paid by the City of Indianapolis since mid-1972. 3 The amounts so designated for 1976 and 1977 were $ 7,843 and $ 8,928, respectively. 4 Petitioner actually expended such amounts during those years to rent or to otherwise provide himself a home. The City of Indianapolis itself neither provided*212 petitioner a home nor designated any portion of petitioner's ssalary as a housing alloance.

On his Federal income tax returns filed for 1976 and 1977, petitioner excluded from his income the amount designated by the Federation as a housing allowance for each of those years. In his statutory notice of deficiency, respondent determined that such exclusions were improper.

OPINION

The issue presented is whether petitioner may exclude from his gross income any amount as a housing allowance under section 107(2). Section 107(2) permits a minister of the gospel to exclude from his gross income the part of his compensation which is a "rental allowance" to the extent he actually uses that allowance to provide himself a home.

A "rental allowance" is defined in section 1.107-1(b), Income Tax Regs., as follows:

The term "rental allowance" means an amount paid to a minister to rent or otherwise provide a home if such amount is designated * * * as rental*213 allowance pursuant to official action taken in advance of such payment by the employing church or other qualified organization * * *. [Emphasis added.]

Thus, a rental allowance must be designated as such to meet the requirements of section 1.107-1(b), Income Tax Regs.

The parties agree that during 1976 and 1977, the years in issue, petitioner performed as a minister of the gospel, see

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Related

Warnke v. United States
641 F. Supp. 1083 (E.D. Kentucky, 1986)

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Bluebook (online)
1981 T.C. Memo. 528, 42 T.C.M. 1136, 1981 Tax Ct. Memo LEXIS 208, Counsel Stack Legal Research, https://law.counselstack.com/opinion/boyd-v-commissioner-tax-1981.