SMITH v. COMMISSIONER

1979 T.C. Memo. 76, 38 T.C.M. 322, 1979 Tax Ct. Memo LEXIS 451
Procedural entryThis page is a short order in SMITH v. COMMISSIONER. Read the opinion of the Court — 70 T.C. 651
United States Tax Court·Decided March 7, 1979·No. Docket No. 7798-76.·Unpublished

Opinion

ROBERT LEE SMITH and ROSIE LEE SMITH, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent.
SMITH v. COMMISSIONER
Docket No. 7798-76.
United States Tax Court
T.C. Memo 1979-76; 1979 Tax Ct. Memo LEXIS 451; 38 T.C.M. (CCH) 322; T.C.M. (RIA) 79076;
March 7, 1979, Filed
Robert Lee Smith and Rosie Lee Smi h, pro se.
Thomas J. Stalzer, for the respondent.

HALL

MEMORANDUM FINDINGS OF FACT AND OPINION

HALL, Judge: Respondent determined the following deficiencies in petitioners' income tax:

YearDeficiency
1973$1,225.19
19741,622.54

The issues for decision are:

1. Whether petitioners are entitled to various deductions claimed for 1973 with respect to real estate they owned. Specifically,

(a) Whether petitioners are entitled to a claimed depreciation deduction (including additional first-year depreciation) in excess of the amount allowed by respondent; and

(b) Whether petitioners are entitled to deductions for expenses incurred in connection with this real estate.

2. Whether petitioners are entitled to various deductions claimed for 1974. Specifically,

(a) *453 Whether petitioners are entitled to a casualty or theft loss deduction under section 165(c)(3) 1 or a bad debt deduction under section 166 due to the bankruptcy of the Federation Workers' Credit Union, Inc., in which they had a savings account;

(2) Whether petitioners are entitled to a casualty loss deduction with respect to an automobile;

(c) Whether petitioners are entitled to a claimed depreciation deduction in excess of the amount allowed by respondent; and

(d) Whether petitioners are entitled to deductions in excess of the amounts allowed by respondent for expenses incurred in connection with real estate owned by them.

FINDINGS OF FACT

Some of the facts have been stipulated by the parties and are found accordingly.

At the time they filed their petition, petitioners were residents of Cleveland, Ohio.

In 1973 petitioners purchased two parcels of improved real estate in Cleveland to be used for rental purposes. One property, at 1223 East 82d Street ("82d Street Property"), cost $1,800; the other property, at 2353 East 84th Street ("84th*454 Street Property"), cost $1,900. On their tax return for 1973, petitioners claimed depreciation for these properties of $90 for the 82d Street Property and $95 for the 84th Street Property. 2

In connection with these properties, petitioners also claimed on their return that they made capital improvements costing $5,500 and $5,800 for the 82d Street Property and the 84th Street Property, respectively. They claimed depreciation with respect to these improvements of $1,100 for the 82d Street Property and $290 for the 84th Street Property. Petitioners also claimed additional first year depreciation with respect to each property, as follows:

82d Street84th Street
Cost of real estate$1,800$1,900
Capital improvements5,5005,800
Total7,3007,700
20% of Total as additional
first year depreciation$1,460$1,540

Petitioners reported rental income from these properties in 1973 of $200 for the 82d Street Property and $900 for the 84th Street Property. They claimed that they incurred expenses as follows:

Expense82d Street84th Street
Electricity $100$ 95
Carpenter1000
Plumbing10085
Insurance135135
Water75150
Taxes225325
Total $735 $790

*455 In the statutory notice, respondent disallowed petitioners' claimed deductions for expenses and depreciation of capital improvements on grounds of lack of substantiation.

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

SMITH v. COMMISSIONER, 1979 T.C. Memo. 76, 38 T.C.M. 322, 1979 Tax Ct. Memo LEXIS 451 (tax 1979).

1979 T.C. Memo. 76 (SMITH v. COMMISSIONER) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Welch v. Helvering
290 U.S. 111 (Supreme Court, 1933)
Spring City Foundry Co. v. Commissioner
292 U.S. 182 (Supreme Court, 1934)
Helvering v. Owens
305 U.S. 468 (Supreme Court, 1939)
Commissioner of Internal Revenue v. Revere Land Co.
169 F.2d 469 (Third Circuit, 1948)
Draper v. Commissioner
15 T.C. 135 (U.S. Tax Court, 1950)
Hunter v. Commissioner
46 T.C. 477 (U.S. Tax Court, 1966)
Dustin v. Commissioner
53 T.C. 491 (U.S. Tax Court, 1969)
Baird v. Commissioner
68 T.C. 115 (U.S. Tax Court, 1977)
Revere Land Co. v. Commissioner
7 T.C. 1061 (U.S. Tax Court, 1946)
Perrotto v. Commissioner
1977 T.C. Memo. 99 (U.S. Tax Court, 1977)
Oman v. Commissioner
1971 T.C. Memo. 183 (U.S. Tax Court, 1971)