Troncelliti v. Commissioner

1971 T.C. Memo. 72, 30 T.C.M. 297, 1971 Tax Ct. Memo LEXIS 260
United States Tax Court·Decided April 14, 1971·No. Docket No. 2928-68.·Unpublished·Cited by 7 cases

Opinion

Edward A. Troncelliti v. Commissioner.
Troncelliti v. Commissioner
Docket No. 2928-68.
United States Tax Court
T.C. Memo 1971-72; 1971 Tax Ct. Memo LEXIS 260; 30 T.C.M. (CCH) 297; T.C.M. (RIA) 71072;
April 14, 1971, Filed.
Ronald F. Kidd and Stanley P. Weiner, 1617 Land Title Bldg., Philadelphia, Pa., for the petitioner. Stephen P. Cadden, for the respondent.

FORRESTER*261

Memorandum Findings of Fact and Opinion

FORRESTER, Judge: For the calendar year 1964, respondent determined a deficiency in petitioner's income tax of $6,332.39 and additions to that tax under sections 6653(b) and 6654 of $3,166.20 and $12.48, respectively. 1 Respondent has conceded the issue relating to the addition to tax under section 6653(b). Also, we ruled at the time of trial that petitioner had not presented sufficient evidence to support his claim for three personal exemptions for dependent children. Therefore, the only questions remaining for our decision are whether petitioner understated his taxable income for 1964 and whether respondent erred in disallowing certain deductions which petitioner had claimed for that same year.

Findings of Fact

Petitioner filed an individual Federal income tax return for the calendar year 1964 with the district director of internal revenue in Philadelphia, Pennsylvania. At the time of the filing of the petition herein, 298 petitioner resided in Bryn Mawr, Pennsylvania.

Petitioner was born in 1915. He attended*262 Villanova University, went on to Jefferson Medical College, interned at Bryn Mawr Hospital, and began his residency in pediatrics prior to entering the armed services during World War II. He served for three years in World War II and upon his return took up a residency in pediatrics at Mary Drexel Children's Hospital.

During 1964 petitioner practiced pediatric medicine in Bryn Mawr, Pennsylvania. For that year petitioner used the cash receipts and disbursements method of accounting.

As a part of the normal course of his professional practice and in order to keep a record of receipts from that practice, petitioner maintained a daily log of a type customarily employed for bookkeeping purposes by medical doctors. 2 Petitioner's secretary or nurse made the entries in the daily log, and occasionally petitioner himself made entries if he saw a patient outside his employees' working hours. The entries were made at the time each patient came into the office. Thus, a patient coming to petitioner's office would go to the front desk where his name would be listed in the daily log. After having been examined, the patient would return to the front desk where he would be billed for the services*263 rendered and where an appropriate entry would be made in the daily log.

The daily log provided spaces for entries showing the patient's name, the type of service rendered, and whether the service was charged to the patient's account or paid (by cash or check) at the time of the visit. The daily log also provided space for the entry of amounts that petitioner received for services previously charged. Petitioner transferred the sums of the daily entries from the daily log to monthly summary sheets in order to arrive at the monthly totals of the daily entries.

The monthly summary sheets contained five columns which reflected the monthly totals of (1) charge business, (2) cash business, 3 (3) amounts received on accounts receivable, (4) total business*264 (the sum of charge and cash business), and (5) total cash received (the sum of cash business and amounts received on accounts receivable). At the end of the year the monthly summaries were totaled so that petitioner could determine his yearly receipts. For 1964 the monthly and yearly totals of each of these five columns were shown, and should have been shown, as follows: 4

Rec'd. onTotalTotal Cash
MonthChargeCashAccountsBusinessReceived
January$ 2,689.00$ 215.00$ 2,369.00$ 2,904.00$ 2,584.00
February2,214.00239.002,202.502,453.002,441.50
March2,396.00182.002,580.002,578.002,762.00
April1,657.00 293.002,289.001,950.002,582.00
May1,963.00273.001,761.002,236.002,034.00

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Troncelliti v. Commissioner, 1971 T.C. Memo. 72, 30 T.C.M. 297, 1971 Tax Ct. Memo LEXIS 260 (tax 1971).

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