Howard v. Commissioner

1981 T.C. Memo. 250, 41 T.C.M. 1554, 1981 Tax Ct. Memo LEXIS 494
United States Tax Court·Decided May 21, 1981·No. Docket No. 4939-78.·Unpublished·Cited by 1 cases

Opinion

JACK R. AND ELEANOR HARRIS HOWARD, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Howard v. Commissioner
Docket No. 4939-78.
United States Tax Court
T.C. Memo 1981-250; 1981 Tax Ct. Memo LEXIS 494; 41 T.C.M. (CCH) 1554; T.C.M. (RIA) 81250;
May 21, 1981.
Richard Katcher, for the petitioners.
Tracy L. Rich, for the respondent.

WILBUR

MEMORANDUM FINDINGS OF FACT AND OPINION

WILBUR, Judge: Respondent determined deficiencies in petitioners' Federal income taxes for the taxable years 1973 and 1974 in the amounts of $ 5,441 and $ 6,510, respectively. Due to concessions by petitioners, the remaining issues for our decision*496 are:

(1) Whether club dues and expenses are deductible as ordinary and necessary business expenses under section 162, 1 and if so, whether the deduction is disallowed under section 274;

(2) Whether expenses incurred for home entertainment are deductible as ordinary and necessary business expenses under section 162, and if so, whether the deduction is disallowed under section 274;

(3) Whether expenses incurred by petitioner Eleanor Harris Howard as an author are properly deductible under section 162 or are disallowed under section 183 because her writing was an activity which was not engaged in for profit;

(4) Whether various miscellaneous expenses are deductible as ordinary and necessary business expenses under section 162.

Some of the facts have been stipulated. The stipulation of facts and the attached exhibits are incorporated herein by this reference.

At the time of the filing of the petition in this case, petitioners Jack R. Howard and Eleanor Harris Howard resided in New York, New York. Petitioners filed their Federal income tax returns*497 for the calendar years 1973 and 1974 computing their taxable income for those years using the cash basis method of accounting.

During the years in issue, petitioner Jack Howard ("Mr. Howard") was president and chief executive officer of the E.W. Scripps Company, the parent corporation of Scripps-Howard Newspapers. During this same period Mr. Howard was the general editorial manager of the Scripps-Howard Newspapers, president of Scripps-Howard Broadcasting Company, and a member of the Advisory Board of the Inter-American Press Association, an organization of newspaper publishers in the western hemisphere. The E.W. Scripps Company and its related companies, Scripps-Howard Broadcasting Company and United Press International (collectively referred to as "Scripps") are engaged in the business of owning and operating newspapers, radio and television broadcasting stations and an international news service. As chief executive officer and general editorial manager, Mr. Howard had responsibilities and duties, among others, for the news and editorial content of the Scripps newspapers.

It was the long-standing policy of Scripps to require its officers and key employees as part of their*498 duties to engage in business promotion and entertainment without reimbursement from the companies. Among such unreimbursed expenses were certain club membership expenses and other expenses for business entertainment which were considered to be necessary and appropriate to the positions held by the employees of the companies. Tis policy was examined and reaffirmed by unanimous vote of the board of directors of Scripps on December 7, 1960.

Petitioners have substantiated that they spent the amounts claimed as deductions on their 1973 and 1974 returns.

Issue 1. Club Dues and Expenses

FINDINGS OF FACT

Petitioners claimed deductions on their 1973 and 1974 tax returns for two-thirds of the cost of the following club dues and expenses:

Club19731974
Bohemian Club (SF)$ 2,635.91$ 2,709.75
Dutch Treat Club (NY)65.00156.31
River Club (NY)869.00924.00
Yale Club (NY)351.25385.00
Pilgrims of the U.S.35.0025.00
Beta Leadership Society

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

Howard v. Commissioner, 1981 T.C. Memo. 250, 41 T.C.M. 1554, 1981 Tax Ct. Memo LEXIS 494 (tax 1981).

1981 T.C. Memo. 250 (Howard v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Kellner v. Commissioner
1986 T.C. Memo. 524 (U.S. Tax Court, 1986)