Kosikowski v. Commissioner

1970 T.C. Memo. 289, 29 T.C.M. 1340, 1970 Tax Ct. Memo LEXIS 72
CourtUnited States Tax Court
DecidedOctober 8, 1970
DocketDocket No. 2566-69 SC.
StatusUnpublished

This text of 1970 T.C. Memo. 289 (Kosikowski 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
Kosikowski v. Commissioner, 1970 T.C. Memo. 289, 29 T.C.M. 1340, 1970 Tax Ct. Memo LEXIS 72 (tax 1970).

Opinion

Richard E. Kosikowski and Mary J. Kosikowski v. Commissioner.
Kosikowski v. Commissioner
Docket No. 2566-69 SC.
United States Tax Court
T.C. Memo 1970-289; 1970 Tax Ct. Memo LEXIS 72; 29 T.C.M. (CCH) 1340; T.C.M. (RIA) 70289;
October 8, 1970, Filed

*72 Held, amounts petitioner received as per diem living expense allowances during the taxable years 1965 and 1966 are includable in his gross income under sec. 61(a), I.R.C. 1954. Held further, evidence relating to transportation expenses claimed by petitioners for these years for the first time at the trial and concerning which there are no allegations in the pleadings is not within the issues under our Rules of Practice (Rule 7(c)(4)), and may not be considered.

Richard L. Powell, for the petitioners. David S. Meisel, for the respondent.

WITHEY

Memorandum Findings of Fact and Opinion

WITHEY, Judge: Respondent determined deficiencies in petitioners' income tax as follows:

YearDeficiency
1965$112.13
1966647.29

*73 The issue for decision is whether the payments petitioners received as per diem living expense allowances during the taxable years 1965 and 1966 are includable in their gross income under section 61(a) of the 1954 Code. 1 The issue with respect to respondent's recomputation of petitioners' medical expense deductions for those years is governed by our resolution of the primary issue.

Findings of Fact

Some of the facts have been stipulated orally at the trial and are found accordingly.

Richard E. Kosikowski, hereinafter sometimes referred to as the petitioner, and his 1341 wife, Mary J. Kosikowski, were residents of the State of Georgia on June 2, 1969, the date of the filing of the petition herein.

The petitioners filed joint income tax returns for the taxable years 1965 and 1966 with the district director of internal revenue, Atlanta, Georgia.

Petitioner is a professional and structural engineer. He contracts his services to various companies through agreements to work at certain places or multiple places at agreed amounts for agreed times on a contract basis.

Petitioner*74 was employed by Comprehensive Designers, Inc., Philadelphia, Pennsylvania, during the periods involved herein.

From October 18, 1965, to September 29, 1967, the petitioner worked on the premises of the Lockheed-Georgia Company in Marietta, Georgia.

Petitioner and his family resided at Doraville, Georgia, from January 1965 to December 1965. The distance between petitioner's place of residence in Doraville and the Lockheed-Georgia Company in Marietta, Georgia, is 18 miles.

In December 1965, petitioner and his family moved to Dunwoody, Georgia, where they presently reside. The distance between his residence in Dunwoody, Georgia, and the Lockheed-Georgia Company in Marietta, Georgia, is 17 miles.

During 1965 and 1966, petitioner drove his personal automobile between his residence and the Lockheed-Georgia Company in Marietta, Georgia, where he worked.

Petitioner received a per diem living expense allowance from Comprehensive Designers, Inc., in the amount of $490 during the period October 18, 1965, through December 31, 1965, and in the amount of $2,499 during the year 1966. Petitioners did not include the amounts received as per diem living expense allowances in gross income for*75 1965 and 1966.

In the statutory notice of deficiency, respondent determined that the amounts received by petitioner as living expense allowances were includable in petitioners' gross income for the taxable years 1965 and 1966.

In their petition, petitioners allege, inter alia, that:

(a) Petitioner Richard E. Kosikowski, is and was during the tax years 1965 and 1966, the years in question, a "job shopper."

(b) A job shopper is a person who because of his particular skills is needed by an organization for a temporary period of time; for instance, a tool designer may be needed by an organization to design specific tools for a specific job and when these tools are designed his services are no longer needed. * * *

(d) Taxpayer in this instance and while a job shopper on a temporary basis received a per diem allowance and this per diem allowance was not included in gross income.

(e) An auditor of the Internal Revenue Service * * * has adjusted the 1965 and 1966 income tax returns of the taxpayers herein to include the per diem allowance as income for the years 1965 and 1966. Said audit changes are erroneous.

Ultimate Finding of Fact

Amounts petitioner received as per diem*76 living expense allowances during the taxable years 1965 and 1966 are includable in his gross income under section 61(a).

Opinion

Petitioner received per diem living expense allowances from his employer during the taxable years 1965 and 1966 in the respective amounts of $490 and $2,499 which were not reported on his income tax returns for those years.

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Cite This Page — Counsel Stack

Bluebook (online)
1970 T.C. Memo. 289, 29 T.C.M. 1340, 1970 Tax Ct. Memo LEXIS 72, Counsel Stack Legal Research, https://law.counselstack.com/opinion/kosikowski-v-commissioner-tax-1970.