Stanley v. Commissioner

1980 T.C. Memo. 217, 40 T.C.M. 516, 1980 Tax Ct. Memo LEXIS 369
United States Tax Court·Decided June 24, 1980·No. Docket No. 11448-78.·Unpublished

Opinion

MARY L. STANLEY and JOHN G. STANLEY, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Stanley v. Commissioner
Docket No. 11448-78.
United States Tax Court
T.C. Memo 1980-217; 1980 Tax Ct. Memo LEXIS 369; 40 T.C.M. (CCH) 516; T.C.M. (RIA) 80217;
June 24, 1980; as amended June 25, 1980
*369
Michele O. Heffernan, for the petitioners.
William S. Miller, for the respondent.

TANNENWALD

MEMORANDUM FINDINGS OF FACT AND OPINION

TANNENWALD, Judge: Respondent determined deficiencies of $4,740 and $4,286 in petitioners' Federal income taxes for the years 1975 and 1976, respectively. Concessions having been made, the issues remaining for decision are: 1

(1) whether petitioner Mary L. Stanley's activities with respect to the collection of glass novelties were engaged in for profit, and

(2) if so, whether and to what extent, petitioners are entitled to deductions for depreciation and household maintenance expenses, in each of the taxable years at issue.

FINDINGS OF FACT

Some of the facts have been stipulated and are found accordingly. The stipulation of facts, together with the accompanying exhibits, is incorporated *370herein by this reference.

Petitioners (hereinafter sometimes referred to as Mr. and Mrs. Stanley) resided in Buffalo, New York, at the time the petition herein was filed. Petitioners filed timely Federal income tax returns for the taxable years 1975 and 1976 with the Internal Revenue Service Center at Andover, Massachusetts.

From 1969 through 1978, the major portion of petitioners' taxable income was derived from services rendered to Stanley Steel Service Corporation (hereinafter Stanley Steel) in which, during the years 1971 through 1976, petitioners owned 57.6 percent of the stock. Mr. Stanley was president of Stanley Steel from 1969 to 1973. Prior to 1971, Mrs. Stanley was a housewife and was not otherwise employed. In 1971, Mrs. Stanley became treasurer of Stanley Steel, and in 1973, because of Mr. Stanley's failing health, she also assumed the presidency of the corporation, a position which she still retains.

Mrs. Stanley's responsibilities with the corporation increased significantly when she became its president and she began to spend approximately 30 to 35 hours per week on corporate business. Her schedule is flexible, however, and some weeks she spends fewer than 30 *371hours working for Stanley Steel. As president, Mrs. Stanley performs all the duties of a chief executive officer.

Petitioners' combined salaries from Stanley Steel ranged from $56,000 in 1971 to $89,604 in 1978, with the total amount increasing in every year and the amount earned by Mrs. Stanley increasing from zero in 1971 to $59,736 in 1978.

Petitioners' net worth in 1969 was not less than $250,000 and ranged from $465,000 to $584,000 between 1974 and 1978, exclusive of the value of their interest in Stanley Steel.

In 1969, when Mrs. Stanley was 51 years old and all but the youngest of her four children had gone off to college, she found that she had some spare time and money and began to acquire antique glass novelties. Glass novelty items included glass toys, barber bottles, milk glass, figural bottles, and glass novelty dishes. Mrs. Stanley also acquires glass marbles. She spends most of her free time on activities relating to her glass novelties collection. Mrs. Stanley had been interested in antiques since she was a child. Her parents and other relatives had collected antiques and she had accompanied them on trips to antique dealers in the Buffalo, New York, area. She *372subscribed to various antique trade journals even before she began acquiring glass novelties. She decided to acquire glass novelties, rather than some other type of antiques, because they were within her price range and she believed that they would increase in value.

Mrs. Stanley acquired 560 examples of glass novelties and marbles in 1969 and her permanent collection has been augmented in every succeeding year. The number of items in her permanent collection from 1969 through 1978 and their cost was as follows:

Number of
End ofGlass NoveltiesNumber of
Year(Except Marbles)MarblesCost
196950060
1970800100$13,585.00
19711,20320019,486.00
19721,35326023,310.00
19731,57432029,656.00
19741,67934042,851.00
19751,97035

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Stanley v. Commissioner, 1980 T.C. Memo. 217, 40 T.C.M. 516, 1980 Tax Ct. Memo LEXIS 369 (tax 1980).

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