Buck v. Commissioner

47 T.C. 113, 1966 U.S. Tax Ct. LEXIS 24
CourtUnited States Tax Court
DecidedNovember 14, 1966
DocketDocket No. 2487-65
StatusPublished
Cited by6 cases

This text of 47 T.C. 113 (Buck 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
Buck v. Commissioner, 47 T.C. 113, 1966 U.S. Tax Ct. LEXIS 24 (tax 1966).

Opinion

BRUOe, Judge:

Respondent determined deficiencies in income tax as follows:

Year Deficiency
1961_ $4,, 596.41
1962_ 2, 889.78
1963_ 6, 837. 96

The deficiency for 1961 is not contested. The parties have stipulated settlement of all issues relating to 1962 and 1968 except one. The sole issue remaining is whether respondent properly disallowed deductions claimed for 1962 and 1963 for medical expenses in the respective amounts of $2,428.50 and $5,521.17.

FINDINGS OF FACT

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

The petitioners, Walter E. Buck and Emily L. Buck, husband and wife, filed joint Federal income tax returns for the calendar years 1962 and 1963 with the district director of internal revenue at San Francisco, Calif. As the issues involved relate to Walter E. Buck, he will be referred to as the petitioner.

Prior to and throughout 1962 and 1963 petitioner was a director and an executive vice president in charge of the Western States of American Distilling Co., Inc., with offices at 1816 Russ Building in San Francisco, Calif. Petitioner also maintained a business office in his individual capacity at the same address. American had a distillery at Sau-salito, Calif., which he sometimes visited. He also occasionally flew to Hew York City to attend meetings of the board of directors of American. He received a salary in the amount of $40,000 from American in each of the years 1962 and 1963, in addition to directors fees in the amount of $100 for 1962 and $600 for 1963.

Prior to and throughout 1962 and 1963 petitioner was also a director and member of the executive committee of the Pacific Rational Life Insurance (Assurance) Co., 215 Market Street, San Francisco, Calif., from which he reported the receipt of “director’s fees” in the amount of $1,200 in 1962 and $900 in 1963. As a member of the executive committee petitioner received a fee of $100 f,or each meeting attended. This fee was not payable if he did not attend the meeting. It is stipulated petitioner attended meetings of the directors and executive committee in 1962 and 1963, as follows:

Directors meetings Executive committee meetings
March 16,1962 April 16,1962
April 25,1962 June 18,1962
August 20,1962 July 16,1962
November 19,1962 September 24,1962
May 27,1963 October 17,1962
August 21,1963 December 17,1962
September 18,1963 January 21,1963
April 24,1963
July 15,1963

The inconsistency between the return and stipulation is not explained.

Prior to and during 1962 and 1963, petitioner was a director of Western Bank Corp. (Bancorporation), from which he reported the receipt of “directors’ fees” in the amount of $2,525 for each of said years. The location of the offices of Western Bancorporation is not shown.

Prior to and during 1962, petitioner was also a director of the First Western Bank & Trust Co., from which he reported the receipt of “directors’ fees” in the amount of $303. The location of its offices is not shown.

Prior to and during 1962, petitioner was also a director of Matson Navigation Co. and of Oceanic Steamship Co., both located at 215 Market Street, San Francisco, Calif. He reported the receipt of “salaries” in the amount of $600 from Matson and $150 from Oceanic for 1962, but no directors’ fees from either. Petitioner retired as a director of Matson on May 11,1962.

Prior to, during and after 1962 and 1963, the petitioners maintained an 11-acre estate in Woodside, Calif., and a town house at 3800 Washington Street in San Francisco. It was their custom to reside at their San Francisco home during the winter and at their Woodside estate during the summer.

Petitioners paid the following salaries to household employees in the periods shown:

July-Dee. Tear
1962 196S
George Ray Mareotte (chauffeur)_ $2,100 $4,200
Yew Jew_ 2,100 150
Sam R. Navarra_ 1,266 2, 532
Eleanor Engel Baltazar_ 1, 200 2,400
John Yberra_ 792 1,584
Albert Chavez_ 396 792
Sambo on Tantraphol_ 700 -
James K. Potter (chauffeur)_ 450 900
Edward Ebella_ _ 3, 500
Randall Van Houten Stone (chauffeur)- - 1, 750

Petitioner was born on November 28, 1884. On October 9, 1961, he suffered a severe, grand mal epileptic attack. He was treated by Dr. John P. Strickler, an internist practicing in San Francisco. He was under treatment for the rest of October and was able to return to his office on October 80 for a few hours. He was advised to avoid fatigue and not to drive an automobile.

On June 1, 1962, petitioner suffered another epileptic seizure. He was seen by Dr. Strickler and was taken by ambulance to a hospital. The diagnosis was epilepsy petit mal, cerebral arteriosclerosis, delirium, and confusion. He was treated by Dr. Strickler at the hospital and went home on or about June 8. The doctor consulted with two other physicians who saw the petitioner at the hospital. Dr. Strickler treated him at home for several weeks thereafter. He was able to go for automobile rides beginning June 10, went to his office for a half hour on June 12, and to his office for a half day on June 25. The doctor advised him not to drive his car and to remain active in a restricted degree in his business. Petitioner had no hobbies, avocation, or interests outside his business interests and his doctor considered remaining “active in his usual business interests very important in order to prevent tension and excitement from frustration and boredom which would be bad with his convulsive seizure type of illness.”

Petitioner employed George Ray Marcotte as his chauffeur for the period from July 1,1962 through 1963. Marcotte had previously been employed by petitioner for 15 years. Petitioner’s wife had another chauffeur for her exclusive service. Marcotte drove petitioner’s car for his trips to his office, the airport, and to the Sausalito distillery.

Petitioner’s income tax returns reported a salary from American Distilling Co. of $10,000 in each of the years 1962 and 1963 and other salaries and fees as director or trustee, the totals aggregating $52,891.25 in 1962 and $17,032.50 in 1963.

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Buck v. Commissioner
47 T.C. 113 (U.S. Tax Court, 1966)

Cite This Page — Counsel Stack

Bluebook (online)
47 T.C. 113, 1966 U.S. Tax Ct. LEXIS 24, Counsel Stack Legal Research, https://law.counselstack.com/opinion/buck-v-commissioner-tax-1966.