Hendrix v. Commissioner

1971 T.C. Memo. 49, 30 T.C.M. 221, 1971 Tax Ct. Memo LEXIS 284
CourtUnited States Tax Court
DecidedMarch 23, 1971
DocketDocket No. 4485-69 SC.
StatusUnpublished

This text of 1971 T.C. Memo. 49 (Hendrix 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
Hendrix v. Commissioner, 1971 T.C. Memo. 49, 30 T.C.M. 221, 1971 Tax Ct. Memo LEXIS 284 (tax 1971).

Opinion

Walter W. Hendrix, Jr., and Juanita S. Hendrix v. Commissioner.
Hendrix v. Commissioner
Docket No. 4485-69 SC.
United States Tax Court
T.C. Memo 1971-49; 1971 Tax Ct. Memo LEXIS 284; 30 T.C.M. (CCH) 221; T.C.M. (RIA) 71049;
March 23, 1971, Filed.
Max D. Ballinger, Brown Bldg., Greensboro, N.C. Frank D. Armstrong, Jr., for the respondent.

JOHNSTON

Memorandum Findings of Fact and Opinion

JOHNSTON, Commissioner: The respondent determined a deficiency of $749.28 in petitioners income tax for the taxable year 1967. In the determination of the deficiency Commissioner disallowed a deduction for expenses incurred by petitioners during a trip to Europe in the amount of $4,505 and a deduction in the amount of $612.47 in excess of the amount allowed by the Commissioner in connection with the maintenance of a business office at home. The issues for decision are whether the amounts*285 deducted by the petitioners are allowable under sections 162 and 274 of the Internal Revenue Code of 1954. 1

Some of the facts have been stipulated and those facts are so found.

The petitioners resided in Greensboro, North Carolina on the date of filing their petition. In 1967 the husband petitioner who owned 8 apartments in Greensboro was in the business of renting apartments. Mrs. Hendrix had been employed as a first grade school teacher since 1958.

From 1958 to August 15, 1966, Walter W. Hendrix, Jr., hereinafter referred to as Walter, was employed as a salesman of ethical pharmaceuticals and certain over-the-counter items by the Roerig Division of the Charles F. Pfizer Company under a salary plus a bonus arrangement. Walter was discharged by Pfizer on August 15, 1966. At that time and subsequently, he expected to continue selling products to his Roerig customers. 222

Sometime in April 1967, after conclusion of protracted litigation arising out of circumstances connected with Walter's discharge, he began to investigate the possibilities of establishing his own business to exploit*286 his continuing relationships with drug stores. He decided not to engage in the sale of ethical drugs and over-the-counter drug items but he continued to explore the possibilities of selling home decorative items to drug stores. Walter was inexperienced in this line. He made some unsatisfactory preliminary efforts to obtain lines of home decorative items in the United States.

On or about June 9, 1967, the petitioners, pursuant to arrangements made by them, began a 15,000 mile trip abroad which covered Ireland, Scotland, England, France, Spain, Portugal, Morocco, North Africa, Italy, Yugoslavia, Austria, Switzerland, Germany, Norway, Sweden, Denmark, Belgium, Luxemburg, and Holland. Mrs. Hendrix departed Europe for home on August 22, 1967, and Walter remained in Europe until about August 31, 1967. During the course of this trip, the petitioners incurred living expenses of $3,005 for food, lodging and other personal necessities and $987.60 for air transportation. Walter testified that he kept a record of his trip on pieces of note paper or on the backs of envelopes or anything that he could get to write on. Sometime after he returned, when some issue was made of his tax by the Internal*287 Revenue Service, he testified he took the separate pieces of paper and prepared a written statement from them for submission to the Internal Revenue Service. After the written statement was prepared he threw away the original documents.

Mrs. Hendrix went along on the trip because her husband wanted her opinion on the home decorative items to be selected. She returned 8 or 9 days before Walter to return to her teaching position. It has not been adequately shown that her presence had a bona fide business purpose.

Although Walter testified that the purpose of his trip was business, it does not appear that business was conducted for a major part of the time petitioners were abroad. The Court is far from satisfied that the primary purpose of the entire trip was business. While petitioners stress the business contacts made, their trip, taken at the height of the tourist season, covered those parts of Europe of most interest to tourists because of the scenic beauty or other personal reasons. There is oral testimony of some business contacts. Walter testified that most manufacturers of products of interest to him were closed for vacation. He also testified that some business discussions*288 related to the possibilities of importing antiques for sale at home. This would have been a new business for Walter. There is no documentation of business purposes of these discussions which meets the requirements of section 274 of the Internal Revenue Code corroborating his testimony except for the Frankfurt Fair. Mrs. Hendrix returned to Greensboro before the opening of the Frankfurt Fair. Mrs. Hendrix' testimony in regard to business conducted was general and lacking in specificity. It is not deemed sufficient corroboration of Walter's testimony for the purpose of section 274, Arthur Hughes, T.C. Memo. 1970-339. There is documentation which corroborates Walter's testimony that he did spend three days at the Frankfurt Fair in Germany. The articles displayed at that Fair were generally of the nature he wished to import for sale. Walter spent one day in New York upon his return obtaining information about manufacturers of products of interest to him.

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1971 T.C. Memo. 49, 30 T.C.M. 221, 1971 Tax Ct. Memo LEXIS 284, Counsel Stack Legal Research, https://law.counselstack.com/opinion/hendrix-v-commissioner-tax-1971.