Phillips v. Commissioner

1986 T.C. Memo. 503, 52 T.C.M. 747, 1986 Tax Ct. Memo LEXIS 104
United States Tax Court·Decided October 6, 1986·No. Docket No. 7627-85.·Unpublished·Cited by 1 cases

Opinion

MICHAEL AND ALICE P. PHILLIPS, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Phillips v. Commissioner
Docket No. 7627-85.
United States Tax Court
T.C. Memo 1986-503; 1986 Tax Ct. Memo LEXIS 104; 52 T.C.M. (CCH) 747; T.C.M. (RIA) 86503;
October 6, 1986; As Amended November 3, 1986

*104 M, a firefighter, was required under a Union contract to eat his meals at the station house while on duty and to contribute to a Station Fund for the cost of the meals. Held, amounts contributed to the Station Fund are not deductible business expenses under section 162(a), I.R.C. 1954, or excludable as meals furnished for the convenience of M's employer under section 119, I.R.C. 1954. Sibla v. Commissioner,611 F.2d 1260 (9th Cir. 1980), affg. Sibla v. Commissioner,68 T.C. 422 (1977), and Cooper v. Commissioner,67 T.C. 870 (1977), distinguished. Held further, since the decision of the Ninth Circuit Court of Appeals in Sibla v. Commissioner is not squarely in point, the rule in Golsen v. Commissioner,54 T.C. 742 (1970), affd. 445 F.2d 985 (10th Cir. 1971), is not applicable.

Michael and Alice P. Phillips, pro se.
Shirley M. Francis, for the respondent.

NIMS

MEMORANDUM FINDINGS OF FACT AND OPINION

NIMS, Judge: Respondent determined a deficiency in petitioners' 1981 Federal income tax in the amount of $232. The issues for decision are (1) whether petitioners are entitled to a $420 deduction under section 162(a)1 for expenses incurred for meals taken by petitioner*106 Michael Phillips (Michael) while on duty as a firefighter, and if so whether such expenses have been properly substantiated; and (2) whether petitioners may deduct $876 for hand tools used by Michael in his employment as a mechanic.

We combine our findings of fact and opinion to facilitate the disposition of the issues in this case.

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

Petitioners resided in Roseburg, Oregon, at the time they filed their petition in this case.

Meal Expense Deduction Issue

Throughout 1981 Michael was employed by the City of Roseburg (Roseburg) as a firefighter. As such he was also a member of the Roseburg Firefighters Union Local 1489 (the Union). Article III, Section 5 (hereinafter referred to as "Section 5"), of the 1984-86 Agreement between Roseburg and the Union (the Union contract) provides:

Section 5. Because shift workers of the Roseburg Fire Department, by the nature*107 of their duties, live together as a family in the various Fire Stations, the purchase of amenities by the shift workers is necessary. It has long been the practice that each shift worker contribute a specific amount as determined by majority vote at the beginning of each shift or the first half of each shift. The fund is managed and expended by the shift workers.

In the interest of harmony and goodwill within the firehouse this practice shall continue and is a condition of employment unless the practice is abandoned through a majority vote of the membership.

It is specifically agreed that any dispute or grievance that may arise pursuant to the operation and administration of this Station Fund is not subject to Article V (Grievance Procedure) or any other grievance and arbitration provisions of this Collective Bargaining Contract.

The Roseburg firefighters have been unionized since 1969. The substance and effect of Section 5 was first put in the Union contract in 1981.

Fire suppression personnel, which included Michael, worked a 24-hour shift, with 48 hours off between shifts. On Form 2106 attached to their 1981 return, petitioners claimed a $420 employee business expense*108 deduction based upon Michael's working 120 shifts and contributing $3.50 per shift to the Station Fund, referred to in Section 5, for meals.

The facts in this case are practically indistinguishable from those in Duggan v. Commissioner,77 T.C. 911 (1981). In Duggan,

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Phillips v. Commissioner, 1986 T.C. Memo. 503, 52 T.C.M. 747, 1986 Tax Ct. Memo LEXIS 104 (tax 1986).

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