Jeffries v. Commissioner

1968 T.C. Memo. 167, 27 T.C.M. 815, 1968 Tax Ct. Memo LEXIS 133
CourtUnited States Tax Court
DecidedJuly 31, 1968
DocketDocket Nos. 2382-67, 4336-67.
StatusUnpublished

This text of 1968 T.C. Memo. 167 (Jeffries 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
Jeffries v. Commissioner, 1968 T.C. Memo. 167, 27 T.C.M. 815, 1968 Tax Ct. Memo LEXIS 133 (tax 1968).

Opinion

Joseph A. Jeffries and Elinor I. Jeffries v. Commissioner.
Jeffries v. Commissioner
Docket Nos. 2382-67, 4336-67.
United States Tax Court
T.C. Memo 1968-167; 1968 Tax Ct. Memo LEXIS 133; 27 T.C.M. (CCH) 815; T.C.M. (RIA) 68167;
July 31, 1968. Filed
Elinor I. Jeffries, pro se, 8450 E. Main St., Reynoldsburg, Ohio. Clarence E. Barnes, for the respondent.

TIETJENS

Memorandum Findings of Fact and Opinion

TIETJENS, Judge: The Commissioner has determined the following deficiencies:

YearDeficiencyOverpaymentClaimed and notRefunded
1963$203.63
196476.00$293.00
1965293.79

The parties have agreed to certain adjustments on the notices of deficiency and these will be taken into consideration under Rule*134 50. The only issue remaining is whether petitioners are entitled to deduct certain expenditures for meals and lodging, during the years in issue, as traveling expenses while away from home under section 162 (a)(2) of the Internal Revenue Code of 1954. 1

Findings of Fact

Petitioners, Joseph A. and Elinor I. Jeffries (hereinafter referred to as Joe and Elinor, respectively), are husband and wife whose legal residence was Reynoldsburg, Ohio at the time their petitions were filed to this 816 Court. Their Federal joint income tax returns for each of the taxable years 1963, 1964, and 1965, were filed with the district director of internal revenue, Pittsburgh, Pennsylvania.

During the period in issue, Joe was employed as an outside salesman by the R.L. Polk and Company (hereinafter referred to as Polk), located in Detroit, Michigan. He received his work assignments and his commission checks by mail from Polk.

During this period, Joe did not maintain a business office in Detroit, Michigan, and at no time was he or his wife physically present in Detroit.

*135 Joe was employed to sell advertising space and do other work connected with the publishing of city directories by Polk. His territory was Ohio, Pennsylvania, and New York, but not Michigan. Materials necessary to accomplish the assignments were sent to Joe by Polk. The amount of time spent in completing an assignment in a particular city depended upon its size and the amount of advertising money needed to publish the city directory. Joe worked in approximately 3 cities in 1963, 6 in 1964, and 12 in 1965.

On approximately July 15, 1963, when Joe began his job with Polk, petitioners vacated their apartment in Erie, Pennsylvania, the place in which they had lived since 1961. They did not return to that apartment or city to live during the period in issue; however, they did maintain a personal mailing address in Erie, registered their automobiles there, and possessed credit cards valid in that city. After vacating their apartment in Erie, petitioners lived in apartments, motels, hotels, and rooming places in the various towns assigned to Joe.

In April 1964, petitioners bought a mobile home. Thereafter, during 1964 and 1965, they used it approximately 15 percent of the time for living*136 accommodations and a business office. On occasion they would move the mobile home to different locations in Joe's territory in order "to get as close as possible to where [he] was going next." He received several assignments from Polk to work in different cities, but he did not move the mobile home on each assignment because "[he] couldn't pay for that."

Joe terminated his employment as an outside salesman with Polk in April 1966 and established a permanent residence at Reynoldsburg, Ohio, where he has lived ever since in a mobile home.

For 1963, petitioners deducted $1,068.64 from their income, representing amounts expended for Joe during the period July 15, 1963 through December 31, 1963, for meals and lodging. For 1964, the amount deducted from income for meals and lodging was $1,447.67, and for 1965 the amount deducted was $1,792. All of these amounts were claimed as "away-from-home" expenses.

The Commissioner sent petitioners the statutory notice of deficiency for the taxable year 1963 with the following explanation attached:

Explanation of Adjustments

(a) It is held that you were not away from home within the meaning of Section 162 of the Internal Revenue Code*137 of 1954 after July 15, 1963. Consequently, the deduction for lodging and meals of $1,068.64 which you claimed on your return has been allowed to the extent of $550.74. The remaining $517.90 which you claimed as lodging and meals for the period from July 15, 1963, to December 31, 1963, are not allowable because they constitute personal living or family expenses under Section 262 of the Code.

For the taxable year 1965 the Commissioner disallowed $1,792 traveling expense, and in the "Explanation of Adjustments" appended to the statutory notice of deficiency he reasoned as follows:

(a) The deduction of $4,272.00 which you claimed for employee business expense has been allowed to the extent of $2,480.00 because it has not been established that any greater amount constitutes an ordinary and necessary business expense, or was expended for the designated purpose under the provisions of

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326 U.S. 465 (Supreme Court, 1946)
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Verner v. Comm'r
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Hicks v. Commissioner
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Cite This Page — Counsel Stack

Bluebook (online)
1968 T.C. Memo. 167, 27 T.C.M. 815, 1968 Tax Ct. Memo LEXIS 133, Counsel Stack Legal Research, https://law.counselstack.com/opinion/jeffries-v-commissioner-tax-1968.