Shaller v. Commissioner

1984 T.C. Memo. 584, 49 T.C.M. 10, 1984 Tax Ct. Memo LEXIS 92
United States Tax Court·Decided November 1, 1984·No. Docket Nos. 2733-83, 29069-83.·Unpublished

Opinion

HERMAN I. SHALLER AND CORA E. SHALLER, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Shaller v. Commissioner
Docket Nos. 2733-83, 29069-83.
United States Tax Court
T.C. Memo 1984-584; 1984 Tax Ct. Memo LEXIS 92; 49 T.C.M. (CCH) 10; T.C.M. (RIA) 84584;
November 1, 1984.
Herman I. Shaller, pro se.
Clement Shugerman, for the respondent.

TANNENWALD

MEMORANDUM FINDINGS OF FACT AND OPINION

TANNENWALD, Judge: Respondent determined the following deficiencies in the petitioners' Federal income taxes:

Taxable yearDeficiency
1979$4,042.83
19809,762.58

In addition, respondent amended his answer with respect to taxable year 1979 to claim an increased deficiency in the amount of $1,680 based*95 on disallowance of petitioners' claimed partnership losses for 1979. After concessions, the issues for decision are (1) whether Herman I. Shaller (petitioner husband) was, for purposes of sections 162 and 280A, 1 engaged in any trade or business other than the marketing of his book, (2) whether more than 10 percent of petitioners' dwelling was "exclusively used on a regular basis" in any trade or business of petitioners within the meaning of section 280A, (3) whether petitioners correctly calculated their depreciation deduction by reference to the fair market value of their home, (4) whether more than 10 percent of petitioners' automobile expenses are properly deductible, (5) whether petitioners' travel expenditures have been adequately substantiated under section 274(d), (6) whether petitioners are entitled to the investment tax credit for any property other than the automobile purchased in 1979, (7) whether petitioners' partnership's maintenance of a group health insurance policy is a deductible business expense, and (8) whether petitioners properly deducted a portion of the amount billed them by credit card companies as unstated interest under section 163(b).

*96 FINDINGS OF FACT

Some of the facts have been stipulated and are so found; this reference incorporates the stipulations of facts and attached exhibits.

Petitioner husband and Cora E. Shaller maintained their residence in Silver Spring, Maryland, at the time they filed their petition in this case. Petitioner and his wife timely filed joint Federal income tax returns for 1979 and 1980.

In 1969, petitioner's position with the Office of the Chief of Staff, Department of the Army, was abolished. He was offered and accepted in return for his resignation "early out" retirement. Petitioner, a licensed professional engineer in the state of Maryland, pursued various activities in the years in issue resulting in income for those years, all of which was reported, as follows:

19791980
Interest income$6,290.35$9,816.00
Dividend income20,177.7917,993.46
Pension and annuity income18,612.0021,033.00

All of the interest and dividend income was earned by petitioners' "Dual Purpose Mutual Fund" (the Fund), a port-folio of investments purchased by petitioner husband in 1970 and managed by him from an office at petitioners' home during the years in question. *97 Mrs. Shaller, pursuant to an oral agreement with petitioner husband, advanced the capital needed to initiate the Fund in return for a promise of income that would increase each year. On their 1979 and 1980 returns, petitioners reported the Fund's activity in terms of transactions as follows:

19791980
Securities purchases1

Free access — add to your briefcase to read the full text and ask questions with AI

Shaller v. Commissioner, 1984 T.C. Memo. 584, 49 T.C.M. 10, 1984 Tax Ct. Memo LEXIS 92 (tax 1984).

1984 T.C. Memo. 584 (Shaller v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Snyder v. Commissioner
295 U.S. 134 (Supreme Court, 1935)
Higgins v. Commissioner
312 U.S. 212 (Supreme Court, 1941)
Fausner v. Commissioner
413 U.S. 838 (Supreme Court, 1973)
Snow v. Commissioner
416 U.S. 500 (Supreme Court, 1974)
Paul Snyder and Helen J. Snyder v. United States
674 F.2d 1359 (Tenth Circuit, 1982)
Joseph A. & Dorothy D. Moller v. The United States
721 F.2d 810 (Federal Circuit, 1983)
Moller v. United States
553 F. Supp. 1071 (Court of Claims, 1982)
Tennessee Consol. Coal Co. v. Commissioner
15 T.C. 424 (U.S. Tax Court, 1950)
Markle v. Commissioner
17 T.C. 1593 (U.S. Tax Court, 1952)
Au v. Commissioner
40 T.C. 264 (U.S. Tax Court, 1963)
Industrial Research Products, Inc. v. Commissioner
40 T.C. 578 (U.S. Tax Court, 1963)
Wyatt v. Commissioner
56 T.C. 517 (U.S. Tax Court, 1971)
Everhart v. Commissioner
61 T.C. No. 35 (U.S. Tax Court, 1973)
Reisinger v. Commissioner
71 T.C. 568 (U.S. Tax Court, 1979)
Curphey v. Commissioner
73 T.C. 766 (U.S. Tax Court, 1980)
Green v. Commissioner
74 T.C. No. 90 (U.S. Tax Court, 1980)
Gestrich v. Commissioner
74 T.C. 525 (U.S. Tax Court, 1980)
Dreicer v. Commissioner
78 T.C. No. 44 (U.S. Tax Court, 1982)
Groetzinger v. Commissioner
82 T.C. No. 61 (U.S. Tax Court, 1984)