Jackson v. Commissioner

59 T.C. 312, 1972 U.S. Tax Ct. LEXIS 17
CourtUnited States Tax Court
DecidedNovember 27, 1972
DocketDocket No. 6193-69
StatusPublished
Cited by111 cases

This text of 59 T.C. 312 (Jackson 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
Jackson v. Commissioner, 59 T.C. 312, 1972 U.S. Tax Ct. LEXIS 17 (tax 1972).

Opinion

Sterrett, Judge'-

Respondent determined a deficiency in petitioner’s Federal income tax and an addition to tax in the following amounts:

Addition to tax Year Deficiency under sec. 6658 (a)1

1966_$6,608. 58 $330.43

At issue in this case is the deductibility of expenses and depreciation, pursuant to sections 162(a) and 167(a), respectively, incurred by the petitioner in the operation of the yacht Thane during 1966. Further we must also determine whether any portion of the asserted deficiency is due to negligence or intentional disregard of the rules and regulations.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts together with the exhibits attached thereto are incorporated herein by this reference.

Petitioner Thomas W. Jackson is an unmarried individual residing at the time of the filing of his petition herein at New York, N.Y. Petitioner filed his individual income tax return for the calendar year 1966 with the district director of internal revenue at New York, N.Y.

During 1966, the year in question, petitioner was president of National Manpower Register, Inc., and a vice president of Careers, Inc. Petitioner was also a stockholder in these corporations and received a salary of approximately $25,000. His other income was negligible.

Petitioner purchased the yacht Thane in late 1958 at a cost of $7,000. Thane, a 65-foot ketch built in 1911, was in poor condition after having been moored at dockside with little attention for several years.

Petitioner’s salary at the time he purchased Thane was $9,000 per year. With very limited funds, petitioner and his brother, Peter Jackson (hereinafter referred to as Peter), set out to refurbish the boat. By 1961 they had made extensive repairs and improvements including rebuilding and recaulking the hull and deck, purchasing new sails, adding new equipment, and replacing old.

Between 1961 and 1963 petitioner fully investigated the idea of chartering Thane. Thane was able to accommodate six passengers quite comfortably plus a crew of three. Letters from various charter brokers indicated a need for sailing boats of Thane's size throughout the Caribbean, especially in the Virgin Islands. However, mechanical and financial problems prevented petitioner from bringing Theme to the Virgin Islands during this period.

By 1964, petitioner had increased his outside earnings and was able to borrow an additional $10,000, which provided the funds necessary to get started in the chartering business. Peter, who had received extensive sailing experience on the Thaive, served as captain. Petitioner himself had no more than 20 hours of time sailing a boat prior to the purchase of the Thane. His principal occupation kept him in New York City, although he occasionally served as a crew member. With this arrangement petitioner and Peter were to share any profits equally, and Peter would receive living expenses for both him and his wife Constance. Constance also served as a member of the crew, most often as cook.

Petitioner had an elaborate brochure prepared which described Thane's accommodations and desirability as a charter. Moreover, Thane was advertised in magazines, such as Yachting, and was listed with travel agencies and charter brokers At that time there were numerous other boats similar to Thane operating as charters in the Virgin Islands.

Thane's, charter rates ranged from approximately $1,000 to $1,500 per week, including food, depending on the number of passengers. Petitioner expected to be able to charter Thane at least 30 weeks during the charter season. Thane's charter rates and expected use were not unusual for boats of Thane's size in the Virgin Islands.

Significantly, in the latter part of 1964 petitioner was able to sign a charter agreement with well-known television personality Hugh Downs (hereinafter referred to as Downs) for a fee of $18,000 plus costs. The actual charter did not commence until July 1965. However, with the publicity of this forthcoming charter and other advertising, Thane was chartered to several parties between February and April of 1965, producing revenues of approximately $4,000. Thane was then brought to Florida from the Virgin Islands in preparation for the Downs charter.

The Downs charter left for Tahiti in the South Pacific on June 30, 1965. Besides providing immediate capital from a large downpayment, petitioner received extensive publicity for Thane, especially on the nationally televised “Today Show” hosted by Downs. The cruise ended in September of 1965, when Downs departed in Tahiti.

On return from Tahiti, a Paramount film crew was on board, producing a film for television and a movie short entitled “Voyage from Tahiti.” This was done as a publicity stunt for Thane. By the end of 1965 Thane had earned $30,000 in gross revenues, and made a small profit.

The original plans called for Thane to return by January 1966 to the Virgin Islands for the 1966 charter season. Several advance charters were booked and others were in the process of negotiation.

The return voyage from Tahiti was delayed by weather and other problems. Thane did not reach Panama until mid-January. As a result of this delay, the advanced bookings were canceled and brokers were notified to discontinue chartering Thane.

In Panama petitioner had to relieve the entire crew, including Peter, due to exhaustion from the long and tiring journey. A new captain and crew attempted to bring Thane to the Virgin Islands for part of the charter season. Several attempts met with strong winds, rough seas, and resultant severe damage to the boat.

By March petitioner decided to forego the 1966 charter season in the Virgin Islands and return Thane to Florida for repairs. Peter and Constance were returned to Thane in Florida, and approximately 3 months were then devoted to repairs.

Having lost the normal charter season, petitioner was advised by charter brokers that Thane could be chartered in the Long Island Sound area. Thane was brought to Essex, Conn., where two charters were secured. Thane was returned to the Virgin Islands in October in preparation for the 1967 charter season. Thane was chartered after 1966, but the record does not indicate the revenues or expenses.

During 1966 petitioner’s personal use of Thane was limited to assisting in serving as a member of the crew on the trip from Florida to Connecticut and on a charter.

Petitioner used the cash method of accounting. A formal system of bookkeeping was not maintained by petitioner for Thane. However, a vast number of canceled checks, receipts, stubs, and notations were presented periodically to his accountant. The chartering of Thane produced $2,250 in gross revenues for the calendar year 1966. At trial, petitioner was able to substantiate the following 1966 expenditures in connection with the Thane:

Crew costs-$2, 721. 08

Repairs, maintenance, dockage_ 1, 695.29

Advertising_ 240. 00

Travel Expense_ 450. 00

Miscellaneous_ 108. 53

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Cite This Page — Counsel Stack

Bluebook (online)
59 T.C. 312, 1972 U.S. Tax Ct. LEXIS 17, Counsel Stack Legal Research, https://law.counselstack.com/opinion/jackson-v-commissioner-tax-1972.