Smith v. Commissioner

83 T.C. No. 40, 83 T.C. 702, 1984 U.S. Tax Ct. LEXIS 13
United States Tax Court·Decided November 23, 1984·No. Docket No. 23371-82·Published·Cited by 6 cases

Opinion

OPINION

Scott, Judge:

Respondent determined a deficiency in petitioners’ income tax for the calendar year 1979 in the amount of $5,969. The issues for decision are (1) whether petitioners are exempt from Federal taxation of wages earned from the Panama Canal Commission during the period October 1,1979, through December 31, 1979, under the Panama Canal Treaty; (2) whether tropical differential payments received by petitioners from the Panama Canal Commission and the Panama Canal Co. during calendar year 1979 are excludable from gross income pursuant to section 912(1)(C) or 912(2);1 (3) whether petitioners were engaged in a trade or business of boat charter and, if so, whether expenses claimed to be deductible with respect to that activity were ordinary and necessary business expenses; (4) whether petitioners are entitled to deduct as ordinary and necessary business expenses in a rental business any amounts in excess of the amounts conceded by respondent to be deductible; and (5) whether petitioners are entitled to deduct telephone expenses as an employee business expense when they have claimed the zero bracket amount on their tax return.

All of the facts were submitted by written or oral stipulations and documentary evidence and are found accordingly.

Petitioners, husband and wife, filed a joint Federal income tax return for calendar year 1979 reporting income received by George E. Smith (petitioner) from the Panama Canal Co. for the period January 1, 1979, through September 30, 1979, and from the Panama Canal Commission for the period October 1, 1979, through December 31, 1979. During the year 1979, petitioner in his employment by the Panama Canal Co. from January 1 through September 30 received $46,770.33 in wages, including a tropical differential in the amount of $5,655.64. The United States exercised territorial sovereignty over the Panama Canal Zone from January 1,1979, through September 30, 1979, pursuant to a 1903 treaty between the United States and the Republic of Panama. In that treaty, Panama granted to the United States "all the rights, power and authority within the [canal] zone * * * which the United States would possess and exercise if it were the sovereign.”2 The Panama Canal Co. was the agency responsible for the operation and control of the Panama Canal during that time.3

The Panama Canal Co. became the Panama Canal Commission on October 1, 1979, the effective date of the Panama Canal Treaty, T.I.A.S. 10030. The Panama Canal Commission, like its predecessor, is responsible for the maintenance and operation of the Panama Canal. 22 U.S.C. secs. 3611 and 3651(1)(A)(1982).

Petitioner was employed from October 1,1979, through December 31, 1979, by the Panama Canal Commission and received $14,284.21 in wages, including a tropical differential in the amount of $1,885.21. On their 1979 return, petitioners reported as income the total of the $61,055 of wages received by petitioner from the Panama Canal Co. and the Panama Canal Commission. On March 12, 1980, petitioners filed a claim for refund of income taxes in the amount of $6,599 based on a claimed exclusion from gross income of salaries and wages in the amount of $14,284.21 on the ground that the wages received by petitioner from the Panama Canal Commission from October 1, 1979, through December 31, 1979, were not subject to Federal income tax.

Attached to petitioners’ 1979 return was a Schedule C reporting a net loss of $4,754 from operating a charter boat business located in Cape Rosier, Brooksviíle, ME. On this Schedule C, income of $780 was reported and the following deductions claimed:

Advertising. $25
Depreciation1. 3,011
Insurance . 350
Postage/safe box. 16
Taxes. 80
Winter storage fees. 586
Labor and materials — repair 551
Gas and oil. 32
Purchasing trip. 2883
September trip — -5 weeks
Air fare. $1,022
Food and meals. 540
Auto mileage. 175
Telephone calls 30
1,767
Total deductions. 5,534
Net loss (total deductions minus gross receipts or sales of $780) (4,754)
‘The depreciation was claimed on a 34-foot new Duffy boat with a $21,080 cost basis. Depreciation was computed on the straight-line method over a 7-year useful life.
Petitioners took a 5-week trip in September 1979 from the Panama Canal Zone to Maine for the claimed purpose of purchasing the Falmouth property and the charter boat. The total cost of the trip was $1,767. The amount deducted on Schedule C was $883 for purchase of the charter boat, leaving $884 as a deduction for purchase of the Falmouth property.

On Schedule E of their 1979 Federal income tax return, petitioners reported rental income of $1,225 with respect to property purchased in 1964 in Brooksville, ME, consisting of land and a house with three bedrooms and two and one-half baths, and deducted $883 for depreciation which was computed on the straight-line method over a 15-year useful life on a $12,500 cost basis ($14,000 cost minus $1,500 for the land equals $12,500). Petitioners deducted the following expenses with respect to the property:

Taxes. $776
Repairs — labor. 767
Repairs — materials. 570
April repairs — labor and materials. 731
Insurance. 249
Varnish porch. 20
Utilities. 175
Total expenses. 3,288

On Schedule E of their 1979 Federal income tax return, petitioners reported no rental income with respect to land and a three-bedroom ranch home purchased on December 3, 1979, in Falmouth, ME, and deducted $311 for depreciation which was computed for 1 month on the straight-line method over a 15-year useful life on a $56,000 cost basis ($62,000 cost minus $6,000 land equals $56,000). Petitioners deducted the following expenses with respect to the property:

Advertising CO O
Utilities IO 3
Fire insurance. 182
Locks. 15
Interest. 449
Purchasing trip. 1884
Total expenses. 1,590

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

Smith v. Commissioner, 83 T.C. No. 40, 83 T.C. 702, 1984 U.S. Tax Ct. LEXIS 13 (tax 1984).

83 T.C. No. 40 (Smith v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Rust v. Commissioner
85 T.C. No. 15 (U.S. Tax Court, 1985)
Ralph D. Harris and Joan F. Harris v. United States
768 F.2d 1240 (Eleventh Circuit, 1985)
Bergmann v. Commissioner
1985 T.C. Memo. 290 (U.S. Tax Court, 1985)
Nicolaisen v. Commissioner
1985 T.C. Memo. 120 (U.S. Tax Court, 1985)
Smith v. Commissioner
83 T.C. No. 40 (U.S. Tax Court, 1984)