Tucker v. Commissioner

1957 T.C. Memo. 118, 16 T.C.M. 488, 1957 Tax Ct. Memo LEXIS 136
CourtUnited States Tax Court
DecidedJune 28, 1957
DocketDocket No. 62212.
StatusUnpublished

This text of 1957 T.C. Memo. 118 (Tucker v. Commissioner) is published on Counsel Stack Legal Research, covering United States Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Tucker v. Commissioner, 1957 T.C. Memo. 118, 16 T.C.M. 488, 1957 Tax Ct. Memo LEXIS 136 (tax 1957).

Opinion

Marvin D. Tucker and Marian E. Tucker v. Commissioner.
Tucker v. Commissioner
Docket No. 62212.
United States Tax Court
T.C. Memo 1957-118; 1957 Tax Ct. Memo LEXIS 136; 16 T.C.M. (CCH) 488; T.C.M. (RIA) 57118;
June 28, 1957

*136 Held: On the evidence presented, petitioners did not furnish more than one-half the support of James R. Friedeman entitling them to dependency credits in the years before the Court.

Milton Suffian, Esq., 722 Chestnut Street, St. Louis, Mo., for the petitioners. William A. Goffe, Esq., for the respondent.

MULRONEY

Memorandum Findings of Fact and Opinion

MULRONEY, Judge: The respondent determined deficiencies in income taxes of Marvin D. Tucker and Marian E. Tucker in the calendar years and amounts as follows:

YearDeficiency
1951$133.16
1952153.69
1953147.60
1954132.02

The Commissioner seeks $30 increased deficiency for 1953 by amended answer, in which it is alleged there was an error in adding taxes withheld at source which resulted in overstatement of the amount to be refunded. The amount shown on the return was refunded. This item is not contested.

The sole issue before us is whether petitioners furnished more than one-half of the support for James R. Friedeman during the taxable years in issue entitling them to a dependency credit in 1951, 1952 and 1953 under section 25(b)(1)(D), Internal Revenue Code of 1939, and a like*137 credit in 1954 under sections 151(e)(1) and 152(a) of the Internal Revenue Code of 1954. Since the above sections are substantially the same under both Codes, no distinctions need be made for the years in issue.

Findings of Fact

Some of the facts are stipulated and are found accordingly.

The petitioners are husband and wife, residing in Lemay, Missouri. During most of the taxable years in issue, petitioners resided in St. Louis, Missouri. Their joint returns were timely filed with the then collector of internal revenue for 1951, and with the district director of internal revenue for 1952, 1953 and 1954, for the St. Louis district of Missouri.

Petitioner Marian E. Tucker, hereinafter sometimes referred to as Marian, and James J. Friedeman, hereinafter referred to as Friedeman, were husband and wife prior to September 1948, when they were divorced. To this union was born in February 1947, the dependent in question, James R. Friedeman, hereinafter referred to as James.

The divorce decree provided that Marian would have custody of their son, James, and also provided that Friedeman would furnish $12.50 per week toward the support of James.

Some time prior*138 to 1950, Marian and co-petitioner Marvin D. Tucker, hereinafter some times referred to as Tucker, were married. During the years 1951, 1952, 1953 and 1954, James lived with petitioners as a member of the household. Also living with them was Lynn E. Tucker, a daughter of petitioners born in August 1950. Both children were claimed as dependency exemptions on the joint income tax returns of petitioners for each of the years in issue. Friedeman also claimed James as a dependency exemption for each of these years on his income tax returns.

During 1951 through 1954, Tucker was employed as a salesman and a sales manager. He also was employed, on a part-time basis, as a musician, performing about 50 jobs a year. During this period Marian also worked part-time as a singer. The combined total wages of petitioners for the four years involved averaged approximately $8,500 per year. Petitioners purchased a home in St. Louis in 1950 at a cost of $7,725. The reasonable rental value thereof was $75 per month. They lived in this home until November of 1954 when they moved into a home costing $16,500, in Lemay, Missouri. This home had a reasonable rental value of $125 per month.

Friedeman had custody*139 of James one day a week and during the summer months James spent additional time with his father. During these visits Friedeman expended money for food and entertainment. In each of the years 1951 and 1952, approximately $90 was expended, and in each of the years 1953 and 1954 approximately $115 was expended. Amounts of $35 and $25 were spent by Friedeman in the purchase of clothing for James in 1951 and 1954, respectively. The sums above are in addition to the amount of $650 per year which Friedeman paid for the benefit of James by order of the divorce decree. We find that Friedeman furnished for the support of James the following sums:

1951195219531954
$775 $740 $765 $790

Petitioners did not furnish more than onehalf of the support for James R. Friedeman.

Opinion

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20 T.C. 822 (U.S. Tax Court, 1953)
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22 T.C. 212 (U.S. Tax Court, 1954)
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23 T.C. 1037 (U.S. Tax Court, 1955)
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23 T.C. 1046 (U.S. Tax Court, 1955)

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Bluebook (online)
1957 T.C. Memo. 118, 16 T.C.M. 488, 1957 Tax Ct. Memo LEXIS 136, Counsel Stack Legal Research, https://law.counselstack.com/opinion/tucker-v-commissioner-tax-1957.