Collins v. Commissioner

1965 T.C. Memo. 233, 24 T.C.M. 1190, 1965 Tax Ct. Memo LEXIS 98
CourtUnited States Tax Court
DecidedAugust 27, 1965
DocketDocket No. 1505-64.
StatusUnpublished

This text of 1965 T.C. Memo. 233 (Collins 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
Collins v. Commissioner, 1965 T.C. Memo. 233, 24 T.C.M. 1190, 1965 Tax Ct. Memo LEXIS 98 (tax 1965).

Opinion

George H. and Josephine Collins v. Commissioner.
Collins v. Commissioner
Docket No. 1505-64.
United States Tax Court
T.C. Memo 1965-233; 1965 Tax Ct. Memo LEXIS 98; 24 T.C.M. (CCH) 1190; T.C.M. (RIA) 65233;
August 27, 1965

*98 Held, petitioners are not entitled to deduct as a medical expense the cost of food prescribed for them as a medical diet which was a substitute for their regular diet, satisfied their nutritional needs, and was not consumed in addition to their regular diet.

George H. Collins, pro se, 42-65 Kissene Blvd., Flushing, N. Y. Eugene Parker, for the respondent.

DRENNEN

Memorandum*99 Findings of Fact and Opinion

DRENNEN, Judge: Respondent determined a deficiency in petitioners' income tax for the taxable year 1961 in the amount of $178.26. The issue for decision is whether petitioners are entitled to a medical expense deduction pursuant to section 213, I.R.C. 1954, 1 for the cost of virtually all food consumed by petitioners during the taxable year in question, pursuant to a medically prescribed diet.

Findings of Fact

Petitioners are husband and wife residing in Flushing, N. Y. Petitioners' joint Federal income tax return for the year 1961 was timely filed with the district director of internal revenue, Brooklyn, N. Y.

Petitioner George H. Collins (hereinafter referred to as George) was listed under "occupation" on the tax return as being employed as an accounting clerk during the taxable year in question, and his wife, Josephine Collins (hereinafter referred to as Josephine), was a housewife and semi-retired registered nurse. George suffered from severe headaches, pains in the back, and "ringing in the ears" for several*100 years prior to the taxable year in question. In an effort to alleviate these physical ailments, George obtained treatment from several doctors. One of these doctors, who had been treating George for several years, referred him to an endocrinologist, John W. Tintera, M.D. (hereinafter referred to as Tintera).

A letter from Tintera dated February 28, 1962, admitted into evidence at the trial of this case, recites that "we have treated Mr. George H. Collins since June 18th, 1958 for multi-glandular complications of adrenal insufficiency and low blood sugar. I have placed Mr. Collins on a high protein, moderate fat and low carbohydrate diet with frequent feedings."

Tintera placed George on an "Antihypoglycemic Diet" which provided in part as follows:

Foods allowed:

All meats, fowl, fish and shellfish

Dairy products (eggs, milk, butter and cheese)

All vegetables and fruits not listed below

Salted nuts (excellent between meals)

Peanut butter, protein bread, oatmeal

D-Zerta with whipped cream (sweetened with Sucaryl)

Sanka, weak tea and sugar-free sodas

Soybeans and soybean products

Sucaryl as a substitute for sugar

Foods to avoid:

Potatoes, corn, macaroni, rice, *101 cereals

Spaghetti, pie, cake, pastries

Sugar, candies, dates

Raisins and other dried fruits

Cola and other sweet soft drinks

Coffee and strong tea

A suggested menu for the day included the following:

Breakfast:

Unsweetened fruit juice or grapefruit

Ham or bacon and one or two eggs

Pat of butter with 1 slice of protein bread

Sanka, tea or milk

10:00 A.M.:

Milk or orange juice or piece of fruit

Lunch:

Soup

Moderately fat meat or cheese sandwich or

Hot lunch consisting of meat or fish and vegetables with 1 slice protein bread and pat of butter

Milk

3:00 to 3:30 P.M.:

Glass of milk or piece of fruit

Dinner:

Vegetable or chicken soup

Cream of pea, asparagus or tomato soup

Meat or fish

Vegetable and salad (mayonnaise recommended for salads)

Slice of protein bread with butter

Milk and/or tea, Sanka

Unsweetened canned fruit or fresh fruit

Bedtime:

2-4 saltines with butter and/or cheese and 1 glass of milk

The same diet was prescribed for Josephine, who also suffered from adrenal insufficiency and inefficient metabolism, and petitioners followed this diet during the years in question, although there is some evidence which suggests*102 that on occasion it was permissible to have potatoes, corn, special macaroni, and spaghetti.

During the taxable year in question petitioners expended $890.32 for food at various grocery stores. In most instances the items purchased were generally available in local stores, and petitioners experienced little difficulty in finding food that would satisfactorily meet the standards of the diet. Care was required in selecting the proper products, and careful reading of the ingredients on the labels was necessary in order to avoid the proscribed items. On occasion petitioners purchased fruit at local fruitstands, and the cost of this food was not included in the $890.32 spent for food because the expenditures could not be substantiated by adequate records. The $890.32 spent for food in the taxable year included virtually all of the petitioners' expenditures for food during the year.

On their income tax return petitioners deducted the $890.32 spent at various grocery stores as a medical expense. In the notice of deficiency respondent determined that the claimed expenditure of $890.32 in the taxable year, representing the cost of food and beverage and referred to as "Antihypoglycemic Diet, *103 " did not qualify as a medical expense under section 213, but represents a personal, living, or family expense, the deduction of which is not allowed under section 262.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Clark v. Commissioner
29 T.C. 196 (U.S. Tax Court, 1957)
Estate of Webb v. Commissioner
30 T.C. 1202 (U.S. Tax Court, 1958)
Cohn v. Commissioner
38 T.C. 387 (U.S. Tax Court, 1962)

Cite This Page — Counsel Stack

Bluebook (online)
1965 T.C. Memo. 233, 24 T.C.M. 1190, 1965 Tax Ct. Memo LEXIS 98, Counsel Stack Legal Research, https://law.counselstack.com/opinion/collins-v-commissioner-tax-1965.