Egner v. Commissioner

1984 T.C. Memo. 473, 48 T.C.M. 1041, 1984 Tax Ct. Memo LEXIS 199
United States Tax Court·Decided September 5, 1984·No. Docket No. 10115-83.·Unpublished

Opinion

WILLIAM G. EGNER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Egner v. Commissioner
Docket No. 10115-83.
United States Tax Court
T.C. Memo 1984-473; 1984 Tax Ct. Memo LEXIS 199; 48 T.C.M. (CCH) 1041; T.C.M. (RIA) 84473;
September 5, 1984.
William G. Egner, pro se.
Barbara E. Horan, for the respondent.

SWIFT

MEMORANDUM FINDINGS OF FACT AND OPINION

SWIFT, Judge: By statutory notice of deficiency dated February 10, 1983, respondent determined deficiencies in petitioner's Federal income tax liabilities of $3,996 for 1979 and $11,836*202 for 1980.

After concessions by the parties, the issues for decision are (1) whether petitioner is entitled to miscellaneous itemized deductions and business deductions in excess of those allowed by respondent, (2) whether petitioner is entitled to an investment tax credit for the purchase of his pickup truck, and (3) whether petitioner is entitled to an award of litigation costs.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. Petitioner resided in Evans, Colorado, at the time the petition herein was filed. Petitioner timely filed his Federal income tax returns for 1979 and 1980, and timely filed his petition herein on May 3, 1983.

During the years in controversy, petitioner was employed by a Denver, Colorado, trucking company as a driver of 18-wheel transport trucks. During 1980, petitioner also started a business enterprise, apparently as a sole proprietor, known as "Protect Yourself," that marketed a line of survival products and sold newspapers from vending machines (hereinafter sometimes referred to as the "sales business").

On his Federal income tax returns for 1979 and 1980, petitioner deducted certain miscellaneous itemized expenses, employee*203 business expenses, and claimed an investment tax credit in connection with the purchase of a pickup truck. On his 1980 return, petitioner also deducted schedule C business expenses allegedly incurred in his sales business.

Upon audit, petitioner failed to substantiate any of these alleged expenses, and respondent issued his notice of deficiency on February 10, 1983, denying all of the claimed deductions and credits. During the subsequent Appeals Office conference, 13 of the 46 deductions claimed by petitioner were allowed in full by respondent, 23 deductions were disallowed entirely or in part for lack of substantiation, and 10 deductions were disallowed entirely, regardless of substantiation, for failure to qualify as deductible expenses.

The deductions disallowed for lack of substantiation and the amounts disallowed are reflected below:

AmountsAmounts ConcededAmounts
ItemClaimedBy RespondentDisallowed
1979
Business Telephone$ 134.00$ 107.00$ 27.00
Fares44.004.2539.75
Meals5,662.004,034.121,627.88
Feed Expense2,524.00749.001,785.00
1980
Business Telephone610.00193.00417.00
Fares810.00540.00270.00
Travel & Entertainment1,840.009.001,831.00
Investment Publications380.00240.00140.00
Books Related to Tax Law1,740.001,624.00116.00
Truck Supplies2,992.001,747.001,245.00
Small Tools410.00200.00210.00
Parking & Tolls20.0020.00
Dues & Publications1,206.001,206.00
Liability Insurance290.0092.00198.00
Legal & Professional520.00

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Egner v. Commissioner, 1984 T.C. Memo. 473, 48 T.C.M. 1041, 1984 Tax Ct. Memo LEXIS 199 (tax 1984).

1984 T.C. Memo. 473 (Egner v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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