Pries v. Commissioner

1991 T.C. Memo. 177, 61 T.C.M. 2442, 1991 Tax Ct. Memo LEXIS 198
CourtUnited States Tax Court
DecidedApril 17, 1991
DocketDocket No. 660-89
StatusUnpublished

This text of 1991 T.C. Memo. 177 (Pries 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
Pries v. Commissioner, 1991 T.C. Memo. 177, 61 T.C.M. 2442, 1991 Tax Ct. Memo LEXIS 198 (tax 1991).

Opinion

JEFFREY J. PRIES, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Pries v. Commissioner
Docket No. 660-89
United States Tax Court
T.C. Memo 1991-177; 1991 Tax Ct. Memo LEXIS 198; 61 T.C.M. (CCH) 2442; T.C.M. (RIA) 91177;
April 17, 1991, Filed

*198 Decision will be entered under Rule 155.

Chester A. Swart, for the petitioner.
Sherri Spradley, for the respondent.
RAUM, Judge.

RAUM

MEMORANDUM OPINION

The Commissioner determined a deficiency in income tax in the amount of $ 1,235 against Jeffrey J. Pries (petitioner) for his 1985 taxable year. The Commissioner also determined additions to tax under section 6653(a)(1) and (2), in the amounts of $ 61.75 and 50 percent of the interest due on $ 1,235, respectively. 1 This case was submitted on the basis of a stipulation of facts and exhibits. Petitioner resided in Newport Beach, California, when he filed the petition herein. He claimed a deduction for 1985 in respect of expenses paid for meals and lodging in Fort Lauderdale, Florida, when he was playing baseball for the Fort Lauderdale Yankees. The issue for decision is whether petitioner was "away from home" at that time so as to qualify for such deduction under section 162(a)(2).

*199 Petitioner was a professional baseball player during the years 1984 through 1987. The record does not show that he was gainfully employed in baseball or in any other activity prior to 1984. On June 5, 1984, he entered into a contract to play baseball during the remainder of 1984 for the Oneonta Yankees, a minor league baseball team located in Oneonta, New York. The Oneonta Yankees Club was one of the New York Yankees' farm teams. The contract was on a printed form captioned "NATIONAL ASSOCIATION OF PROFESSIONAL BASEBALL LEAGUES Uniform Player Contract." The names of the parties, date, compensation, etc., were left to be added in blank spaces provided therefor. Petitioner's contract, as thus filled in, was formally between himself and the Oneonta Yankees Club. His salary was stated to be $ 700 a month, and he was in fact paid a total of $ 1,750 as salary for the remainder of the 1984 season. The contract gave the Oneonta Yankees six successive options to renew the contract, each for a term of one year.

In a handwritten insert, the contract provided for a "signing bonus" of $ 92,500. The parties before us have stipulated that the bonus was to be paid in two equal installments*200 by the New York Yankees, who were not parties to the contract. Petitioner was to receive the first $ 46,250 installment upon the approval of his contract by the President of the National Association of Professional Baseball Leagues, and was to receive the second $ 46,250 installment on January 15, 1985. The president approved the contract on June 26, 1984, and petitioner received the first installment prior to the end of 1984. The exact date is not revealed by the record. He received the second installment on January 10, 1985. The contract described petitioner's home address as "1710 Port Barmouth, Newport Beach, California." Because the stipulation of the parties states that "when in Newport Beach, California, petitioner lived with his parents during 1984-1987," we conclude that 1710 Port Barmouth was the address of his parents' house in Newport Beach.

Petitioner played baseball for the Oneonta Yankees from July 7, 1984 until August 30, 1984. For some period during that year, he also worked for the Ritz Hotel in Newport Beach, California, from which he received wages of $ 1,029. The record does not disclose the dates on which petitioner worked for the hotel, or the nature*201 of his duties there, nor does it disclose that he ever worked there again in any other year or worked for any other hotel.

Petitioner lived with his parents in Newport Beach from January 1, 1985 until March 9, 1985. On March 10, he began his stay in Fort Lauderdale, Florida. On April 11, 1985, he signed a contract to play baseball for the Fort Lauderdale Yankees, another of the New York Yankees' minor league farm teams, which was located in Fort Lauderdale, Florida. This contract was on a form substantially the same as the one he had signed with the Oneonta Yankees the previous year, and similarly gave the Fort Lauderdale Yankees six successive options to renew for one year each. However, it did not contain any comparable provisions for a signing bonus. The Fort Lauderdale Yankees paid petitioner a salary of $ 700 per month in accordance with their contract, for a total of $ 4,440.05 for the 1985 baseball season.

Petitioner was present in Fort Lauderdale through September 3, 1985, except for the periods when he was "on the road" with his team to play baseball against other minor league teams in their respective home cities. After the baseball season ended, he returned to Newport*202 Beach, where he again lived in his parents' house from September 4 through the end of the year. The record contains no indication that petitioner paid rent in any form to his parents in exchange for living at their house.

While in Fort Lauderdale, petitioner spent $ 1,324 on lodging and $ 1,260 for meals. 2*203

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Bluebook (online)
1991 T.C. Memo. 177, 61 T.C.M. 2442, 1991 Tax Ct. Memo LEXIS 198, Counsel Stack Legal Research, https://law.counselstack.com/opinion/pries-v-commissioner-tax-1991.