Tyson v. Commissioner

1979 T.C. Memo. 122, 38 T.C.M. 557, 1979 Tax Ct. Memo LEXIS 399
CourtUnited States Tax Court
DecidedApril 4, 1979
DocketDocket Nos. 2304-77, 2305-77.
StatusUnpublished

This text of 1979 T.C. Memo. 122 (Tyson 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
Tyson v. Commissioner, 1979 T.C. Memo. 122, 38 T.C.M. 557, 1979 Tax Ct. Memo LEXIS 399 (tax 1979).

Opinion

RICHARD F. TYSON AND JOANNE TYSON, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent; RICHARD F. TYSON, M.D., P.A., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Tyson v. Commissioner
Docket Nos. 2304-77, 2305-77.
United States Tax Court
T.C. Memo 1979-122; 1979 Tax Ct. Memo LEXIS 399; 38 T.C.M. (CCH) 557; T.C.M. (RIA) 79122;
April 4, 1979, Filed
Joseph L. Gibson, Jr., for the petitioners.
Dale Eggleston, for the respondent.

*401 DAWSON

MEMORANDUM FINDINGS OF FACT AND OPINION

DAWSON, Judge: Respondent determined the following deficiencies in petitioners' Federal income taxes:

Taxable Year
PetitionersDkt. No.EndedDeficiency
Richard F. Tyson2304-77December 31, 1973$1,282.52
and Joanne TysonDecember 31, 19751,577.58
Richard F. Tyson,2305-77October 31, 19731,716.95
M.D., P.A.October 31, 19741,237.76

In addition to the above deficiencies, respondent determined that an overassessment in tax of $127.14 had been made for Richard F. and Joanne Tyson for their taxable year ended December 31, 1974. Part of the deficiency for Richard F. Tyson, M.D., P.A. for the taxable year ended October 31, 1973, results from the partial disallowance of a net operating loss carryback from the corporation's taxable year ended October 31, 1975.

Some adjustments have been conceded by the petitioners. The issues remaining for decision are: (1) whether the Court has jurisdiction to redetermine the amount of an overassessment in income tax for Richard F. and Joanne Tyson for the year 1974; (2) whether the corporate petitioner is entitled to deduct more than*402 25 percent of certain automobile expenses paid by it as ordinary and necessary expenses incurred in carrying on its business for the taxable years ended October 31, 1973, 1974, and 1975; (3) whether 75 percent of the automobile expenses paid by the corporation during its taxable years ended October 31, 1973, 1974, and 1975 were for Richard Tyson's personal use of his automobile and, if so, whether such expenditures constitute dividend income to him under the provisions of sections 301 and 316; 1 (4) whether Richard Tyson is entitled to depreciation deductions for his personal use of an automobile in his business during the years 1973, 1974, and 1975 in an amount greater than that determined by respondent; (5) whether Richard Tyson is entitled to a deduction for office-in-home expenses in 1975 and, if so, whether such expenses were properly substantiated; and (6) whether the corporate petitioner is entitled to a deduction in an amount greater than that determined by respondent for contributions made to its pension plan during its taxable year ended October 31, 1973.

*403 FINDINGS OF FACT

Some of the facts have been stipulated and are so found.

Richard F. Tyson and Joanne Tyson, the individual petitioners, were legal residents of Columbia, Maryland, when they filed their petition herein. Richard F. Tyson, M.D., P.A. (the corporation) had its principal office at 936 W. North Avenue, Baltimore, Maryland, at the time its petition was filed.

The petitioners filed timely joint Federal income tax returns for the years 1973, 1974, and 1975. The corporation filed timely Federal income tax returns for its fiscal years ended October 31, 1973, 1974, and 1975.

Richard F. Tyson (Dr. Tyson) is a practicing physician and the sole stockholder of the corporation. His personal residence is in Columbia, Maryland, but he does not maintain a medical office there.

Dr. Tyson's normal work routine is to leave his home in Columbia, Maryland, in the morning and either go to the bank, or to Provident Hospital, located at 2600 Liberty Heights Avenue, Baltimore, Maryland, or to the George Washington Carver Nursing Home located at 607 Pennsylvania Avenue in Baltimore. Provident Hospital and the George Washington Carver Nursing Home are located within an approximate*404 two mile radius in the city of Baltimore, and each is approximately fifteen miles from Columbia, Maryland. The bank is located six miles from Dr. Tyson's home. Dr. Tyson's medical office at 936 W. North Avenue is approximately three to four miles from Provident Hospital and the George Washington Carver Nursing Home.

In the evening Dr. Tyson would usually leave his medical office and go to either the George Washington Carver Nursing Home or to Provident Hospital and then to his home. Sometimes he attended meetings or returned to his office.

During the years 1973 through 1975 neither Dr. Tyson nor the corporation kept any records of the miles traveled each day by Dr. Tyson or the place of business traveled to and from or the purpose of the travel.

The certified public accountant for Dr. Tyson requested that he keep a log of his mileage for a two-week period which he did from September 29, 1975 through October 12, 1975.

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Cite This Page — Counsel Stack

Bluebook (online)
1979 T.C. Memo. 122, 38 T.C.M. 557, 1979 Tax Ct. Memo LEXIS 399, Counsel Stack Legal Research, https://law.counselstack.com/opinion/tyson-v-commissioner-tax-1979.