Reinhard v. Commissioner

1975 T.C. Memo. 350, 34 T.C.M. 1529, 1975 Tax Ct. Memo LEXIS 24
United States Tax Court·Decided December 8, 1975·No. Docket No. 2118-73.·Unpublished

Opinion

HENRY C. and SHIRLEY M. REINHARD, JR., Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Reinhard v. Commissioner
Docket No. 2118-73.
United States Tax Court
T.C. Memo 1975-350; 1975 Tax Ct. Memo LEXIS 24; 34 T.C.M. (CCH) 1529; T.C.M. (RIA) 750350;
December 8, 1975, Filed
Henry C. Reinhard, Jr., and Shirley M. Reinhard, pro se.
N. Steven New, for the respondent.

FEATHERSTON

MEMORANDUM OPINION

FEATHERSTON, Judge: Respondent determined a deficiency in petitioners' Federal income tax for 1971 in the amount of $386.41. The only issue for decision is whether expenses in the amount of $1,756.40 incurred by*25 petitioner in attending law school during 1971 are deductible as ordinary and necessary business expenses under section 162(a). 1/

All the facts are stipulated.

Petitioners, Henry C. and Shirley M. Reinhard, Jr., husband and wife, were legal residents of Houston, Texas, at the time the petition was filed. They filed a joint Federal income tax return for the taxable year 1971.

Since 1960, Henry C. Reinhard, Jr., (hereinafter referred to as petitioner) has been engaged continuously in hospital administrative work. His positions of employment were as follows:

DatePosition
Sept. 1960 to June 1963Medical Administrative
Officer, United States
Air Force Hospital, San
Antonio, Texas
June 1963 to August 1964Medical Administrative
Officer, United States
Air Force Hospital,
Thule, Greenland
August 1964 to July 1966Chief Administrative Sup-
port Branch, United
States Air Force School
of Aerospace Medicine,
San Antonio, Texas
July 1966 to June 1968Administrative Assistant
to a professor of medicine,
Baylor University College
of Medicine, Houston,
Texas
July 1968 to June 1973Administrative positions
within St. Luke's Episcopal
Hospital, Texas Children's
Hospital, and Texas Heart
Institute, Houston, Texas
June 1973 to date ofHospital Administrator, Fort
trialWorth Children's Hospital,
Fort Worth, Texas

*26 Petitioner met the initial minimum qualifications for the position of Assistant Administrator of St. Luke's Episcopal Hospital, Texas Children's Hospital, and Texas Heart Institute by virtue of his receiving a Bachelor of Business Administration Degree in Economics and Finance from the University of Houston in January 1969 and his record of increasingly responsible positions in the health care field during the preceding 10 years. From the outset of his employment with St. Luke's Hospital, Texas Children's Hospital, and Texas Heart Institute, however, his continued employment at those institutions was contingent upon his successful pursuit of a Juris Doctor degree.

During 1971, as Assistant Administrator of St. Luke's Episcopal Hospital, Texas Children's Hospital, and Texas Heart Institute, petitioner's duties included administrative management of clinical research programs requiring timely development of special account forms to protect the interests of the hospitals and the doctors involved in the development of innovative surgical prostheses and techniques, as well as management of the hospital's involvement in adoptions, child abuse cases, and personal injury claims against*27 the hospital.

In February 1969, petitioner enrolled as a night law student at South Texas College of Law in Houston, Texas, and was continuously enrolled thereafter until August 1972, when his course of study culminated in his receiving a Juris Doctor degree from South Texas College of Law, Houston, Texas. During the spring, summer, and fall semesters of 1971, petitioner completed the following courses:

CourseSemester Hours

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Reinhard v. Commissioner, 1975 T.C. Memo. 350, 34 T.C.M. 1529, 1975 Tax Ct. Memo LEXIS 24 (tax 1975).

1975 T.C. Memo. 350 (Reinhard v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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