Dyer v. Commissioner

1964 T.C. Memo. 200, 23 T.C.M. 1208, 1964 Tax Ct. Memo LEXIS 136
CourtUnited States Tax Court
DecidedJuly 23, 1964
DocketDocket No. 4499-62.
StatusUnpublished

This text of 1964 T.C. Memo. 200 (Dyer 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
Dyer v. Commissioner, 1964 T.C. Memo. 200, 23 T.C.M. 1208, 1964 Tax Ct. Memo LEXIS 136 (tax 1964).

Opinion

J. Raymond Dyer and Jean Russell Dyer v. Commissioner.
Dyer v. Commissioner
Docket No. 4499-62.
United States Tax Court
T.C. Memo 1964-200; 1964 Tax Ct. Memo LEXIS 136; 23 T.C.M. (CCH) 1208; T.C.M. (RIA) 64200;
July 23, 1964

*136 1. Held, collateral estoppel does not apply in this proceeding against petitioners due to our decision in J. Raymond Dyer, 36 T.C. 456 (1961). The parties in this proceeding are the same as in 36 T.C. 456, supra, but the facts are not the same.

2. Held, certain expenditures made by the petitioners in 1958 were deductible under section 162, I.R.C. 1954, as conceded by respondent at the hearing and in his brief; held, further, certain other expenditures made by the petitioners in 1958 and 1959 were not deductible under either section 162 or section 212 of the 1954 Code.

J. Raymond Dyer, pro se, 418 Olive St., St. Louis, Mo. Donald W. Wolf, for the respondent.

BLACK

Memorandum Findings of Fact and Opinion

The Commissioner has determined deficiencies in the income tax of petitioners for the calendar years 1958 and 1959 in the respective amounts of $427.53 and $385.44.

The deficiency for 1958 is due to the following adjustments made to the taxable income as disclosed by petitioners' income tax return for 1958:

(a) Schedule "C" loss (decreased)$2,139.99
(b) Medical expense deduction (de-
creased)105.30
(c) Schedule "C" Mathematical Error300.00
The deficiency for 1959 is due to the following adjustments made to the taxable income as disclosed by petitioners' income tax return for 1959:
(a) Schedule "C" loss (decreased)$1,659.41
(b) Medical expense deduction (de-
creased)10.35

*138 Petitioners, by assignments of error, contest these adjustments made by the Commissioner in his deficiency notice, except the mathematical error determined by him. Petitioners not only contend that there is no deficiency in either year but that, on the contrary, there was an overpayment in each year.

Findings of Fact

A stipulation of facts was filed by the parties, together with exhibits attached thereto, and it is incorporated herein by this reference. There was also oral testimony and certain exhibits received in evidence at the hearing.

Jean Russell Dyer and J. Raymond Dyer, a practicing lawyer, are husband and wife with residence in St. Louis, Missouri. J. Raymond Dyer will sometimes hereinafter be referred to as petitioner.

For the taxable years ended December 31, 1958, and December 31, 1959, petitioners filed their joint Federal income tax returns on the cash receipts and disbursements basis with the District Director of Internal Revenue for the Eastern District of Missouri.

In the statutory notice of deficiency mailed to petitioners on October 24, 1962, respondent took cognizance of an arithmetical error respecting an overstatement of petitioners' gross profit by*139 $300 on their 1958 return and a 40 cent arithmetical error on their 1959 return.

Union Electric Company, sometimes hereinafter referred to as Union, a Missouri corporation with offices in St. Louis, was at all times herein mentioned a public utility holding company with more than 60,000 stockholders holding more than 10,000,000 shares of common stock. Union's outstanding voting securities during the years 1958 and 1959 consisted of approximately 533,595 shares of preferred stock and approximately 10,356,887 shares of common stock.

Petitioners' daughter, Nancy Corinne Dyer, born October 17, 1936, was at all times herein mentioned a Union common stockholder whom petitioner represented under power of attorney and during her minority as guardian.

Controversy A

On December 11, 1956, petitioner, as attorney and guardian for Nancy, demanded access to Union's stock list and the right to copy the stock list. Union denied the validity of the power of attorney and refused the request, contending that under Missouri law a minor could not appoint an attorney.

On December 17, 1956, a petition for mandamus and damages was filed in the Circuit Court of the City of St. Louis by petitioner, *140 as the duly appointed next friend of his daughter, against Union and three of its officers - J. W. McAfee, Ralph E. Moody, and E. J. Shapiro - to require production of certain stock books and records of the company for inspection and copy, and for statutory damages of $750 under Mo. Rev. Stat. sec. 351.215 (1949). On December 21, 1956, the petition for mandamus was denied. This judgment was appealed to the St.

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Cite This Page — Counsel Stack

Bluebook (online)
1964 T.C. Memo. 200, 23 T.C.M. 1208, 1964 Tax Ct. Memo LEXIS 136, Counsel Stack Legal Research, https://law.counselstack.com/opinion/dyer-v-commissioner-tax-1964.