Rance v. Commissioner
This text of 1983 T.C. Memo. 129 (Rance 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.
Opinion
MEMORANDUM OPINION
NIMS,
All of the facts have been stipulated and are found accordingly.
Petitioners John S. Rance (hereinafter "Rance") and Jeannie S. Rance, husband and wife, resided at Huntington Beach, California, at the time they filed the petition.
During 1977, Rance was employed as an investigator for the State of California.
In 1977, Rance incurred and paid $2,840 of expenses in*655 connection with taking courses at a school of law. On their 1977 tax return, petitioners deducted this amount as an ordinary and necessary business expense. In his statutory notice of deficiency, respondent disallowed this deduction on the ground that the law school courses would lead to qualification of Rance for a new trade or business.
Section 162(a) 1 allows a deduction for all ordinary and necessary expenses of carrying on a trade or business.
*656 Petitioners argue that the legal courses Rance took in 1977 are not "part of a program of study * * * which will lead to qualifying him in a new trade or business" because Rance did not complete the whole law school curriculum in 1977. In addition, petitioners contend that admission to the bar alone qualifies one for practicing law and that Rance was not admitted to the bar until later years.
There is absolutely no merit to petitioners' arguments. This Court has consistently disallowed education deductions taken by non-lawyers for attending law school. See, e.g.,
On the authority of the cases cited above, we hold petitioners' educational expense business deduction for the cost of attending law school is not allowable.
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1983 T.C. Memo. 129, 45 T.C.M. 956, 1983 Tax Ct. Memo LEXIS 654, Counsel Stack Legal Research, https://law.counselstack.com/opinion/rance-v-commissioner-tax-1983.