Smith v. Commissioner

1981 T.C. Memo. 149, 41 T.C.M. 1186, 1981 Tax Ct. Memo LEXIS 594
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United States Tax Court·Decided March 30, 1981·No. Docket No. 1790-76.·Unpublished

Opinion

RONALD T. AND ELAINE L. SMITH, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Smith v. Commissioner
Docket No. 1790-76.
United States Tax Court
T.C. Memo 1981-149; 1981 Tax Ct. Memo LEXIS 594; 41 T.C.M. (CCH) 1186; T.C.M. (RIA) 81149;
March 30, 1981.
Robert M. Tyle, for the petitioners.
Timothy M. Cotter, for the respondent.

DAWSON

MEMORANDUM FINDINGS OF FACT AND OPINION

DAWSON, Judge: This case was assigned to and heard by Special Trial Judge Murray H. Falk pursuant to the provisions of section 7456(c) of the Internal Revenue Code1 and Rules 180 and 181, Tax Court Rules of Practice and Procedure.2*595 The Court agrees with and adopts his opinion which is set forth below.

OPINION OF THE SPECIAL TRIAL JUDGE

FALK, Special Trial Judge: Respondent determined a $ 1,083.42 deficiency in petitioners' 1972 federal income tax. All other issues having been resolved by agreement of the parties, the sole question presented for our decision is whether various expenditures for education are deductible under section 162(a).

FINDINGS OF FACT

Some of the facts have been stipulated by the parties, and those facts are so found.

Petitioners, Ronald T. Smith and Elaine L. Smith, husband and wife, resided at Horseheads, New York, at the time they filed their petition herein. Petitioners timely filed their joint federal income tax return for 1972 with the Internal Revenue Service Center at Andover, Massachusetts.

Petitioner Ronald T. Smith*596 3 received a bachelor of science degree in chemistry from Fisk University in 1961. He did some graduate work in organic chemistry, worked as a research chemist for a pharmaceutical company, and served in the Army before he entered the employ of Corning Glass Works (hereinafter referred to as Corning) in 1969 as a glass technologist. In September of 1970, he became a section foreman in the quality control department of Corning. From the fall of 1971 through the spring of 1972, he took courses at College Center of the Finger Lakes, an off-campus branch in Corning, New York, of Syracuse University. He attended College Center of the Finger Lakes part time while continuing to be actively employed by Corning on a full-time basis. Corning reimbursed him 75% of his tuition for these courses. In attending classes, petitioner typically drove from his home to class in the late afternoon or evening, after a late lunch or early dinner, and back home again when his class was over and group assignments were completed.

*597 In August of 1972 petitioner began studies full time at Syracuse University (hereinafter referred to as Syracuse) at its main campus in Syracuse, New York. These studies led to his being awarded a master's degree in business administration in August of 1973. During this period petitioner was on leave of absence from his position as section foreman in the quality control department at Corning. Corning paid him two-thirds of his salary and reimbursed him the expenses of his tuition and fees. Upon completion of his studies at Syracuse, petitioner returned to active employment at Corning as a market development specialist in its automotive products division.

None of the studies was required by Corning.

As a section foreman in the quality control department, petitioner was responsible for the quality of materials coming in, goods in process, and products leaving the plant. Depending upon the volume of production, petitioner directly supervised the inspection work of eight to twenty-four persons at a time. He submitted his thoughts on the budget and personnel needs and the production and costs effects of his section to his superior (the head of the quality control department) *598 and at production department meetings. Occasionally, he communicated with marketing personnel and directly with customers regarding the quality of particular products. His duties required a basic understanding of production and operation management, bookkeeping and cost accounting, and business finance.

At College Center of the Finger Lakes, petitioner took basic business courses in production or operations management, bookkeeping and cost accounting, and business finance. The course in production or operations management dealt with the scheduling of efficient production line techniques and attendant economics. The accounting course involved, in addition to bookkeeping, a study of costing systems, including the standard cost system of the sort Corning utilizes. The finance course was a step beyond bookkeeping, dealing with analysis of financial data. At Syracuse, petitioner took courses in business law, finance and advanced finance, corporate strategy and business policies, business operations, programming, economics, and marketing.

In 1972, petitioner paid $ 240 tuition and $ 19.50 for books and supplies in connection with the courses he took at College Center of the Finger*599 Lakes and $ 1,496 tuition and fees and $ 77.71 for books and supplies in connection with his attendance at Syracuse.

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Smith v. Commissioner, 1981 T.C. Memo. 149, 41 T.C.M. 1186, 1981 Tax Ct. Memo LEXIS 594 (tax 1981).

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