Warwick v. United States

236 F. Supp. 761, 14 A.F.T.R.2d (RIA) 5817, 1964 U.S. Dist. LEXIS 6760
CourtDistrict Court, E.D. Virginia
DecidedJuly 29, 1964
DocketCiv. A. 3829
StatusPublished
Cited by12 cases

This text of 236 F. Supp. 761 (Warwick v. United States) is published on Counsel Stack Legal Research, covering District Court, E.D. Virginia primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Warwick v. United States, 236 F. Supp. 761, 14 A.F.T.R.2d (RIA) 5817, 1964 U.S. Dist. LEXIS 6760 (E.D. Va. 1964).

Opinion

BUTZNER, District Judge.

Pursuant to the rules, the Court states its findings of fact and conclusions of law.

This is a civil tax refund suit brought by the plaintiffs, Pierre C. Warwick and Sarah M. Warwick, who are husband and wife, for the recovery of additional income taxes assessed and collected from them for the years 1958 and 1959. Mr. Warwick is employed by Universal Leaf Tobacco Company, Inc.

The case concerns the tax treatment of expenses Mrs. Warwick incurred upon trips abroad.

More specifically, the issues are whether Mr. and Mrs. Warwick properly deducted in 1958 Mrs. Warwick’s travel *762 expenses of $1,584.05, and are therefore entitled to a refund of $1,216.29, plus interest, from April 15, 1963. And secondly, whether Mr. and Mrs. Warwick properly excluded from their 1959 income Mrs. Warwick’s travel expenses of $2,003.82, and are therefore entitled to a refund of $1,480.14, plus interest, from April 15, 1963.

Coucededly, the amount received in 1959 should have been included in income. That, however, does not determine the case. The parties are in agreement, and the Court believes they have analyzed the case correctly, in stating that the real issue in the case is whether the travel expenses of Mrs. Warwick are deductible.

The Court finds the facts stated in the stipulation of facts and directs the court reporter to incorporate paragraphs 4 and 5.

4. Mr. and Mrs. Warwick timely filed a 1958 joint federal income tax return reporting thereon an adjusted gross income of $65,570.74, composed in major part of $55,402.95 representing compensation received by Mr. Warwick from Universal, and showing a tax due thereon of $22,746.02, which was timely paid. In the return, they claimed a deduction from gross income of $1,584.04 representing Mrs. Warwick’s unreimbursed travel expenditures.

The following schedule shows Mr. and Mrs. Warwick’s 1958 itinerary and Mrs. Warwick’s expenses incurred and paid. This trip took 28 days beginning March 7, 1958 and ending April 1, 1958.

New York — 2 days

Hotel $ 12.15

Meals & Tips 15.30

27.45

Lisbon - 7 days

Hotel 66.20

Meals & Tips 62.00

128.20

Madrid - 6 days

■ Hotel 40.00

Meals & Tips 53.50

93.50

San Sebastian - 2 days

RR fare Madrid San Sebastian-Madrid 33.20

Hotel 6.80

Meals & Tips 21.50

61.50

Tarragona - 2 days

Hotel 11.00

Meals & Tips 19.95

RR fare Barcelona - Tarragona Barcelona 15.35

46.30

Barcelona - 1 day

Hotel 3.40

Meals ■& Tips 10.10

13.50

London - 7 days

Hotel 67.20

Meals & Tips 60.20

127.40

New York - 1 day

Meals & Tips 6.70

Plane Fare

Richmond - N. Y. - Lisbon - Madrid - Barcelona - London-N. Y. - Richmond 1079.50

Total Expenses: 1584.05

Upon audit, the Commissioner disallowed this claimed deduction and, as a' result, assessed a tax deficiency for 1958 of $982.11 which Mr. and Mrs. Warwick paid to the District Director on April 15, 1963, together with assessed interest of $234.18.

5. Mr. and Mrs. Warwick timely filed a 1959 joint Federal income tax return reporting thereon an adjusted gross income of $81,855.63, comprised in major part of $68,188.00 representing compensation received by Mr. Warwick from Universal, and showing a tax due thereon of $30,180.54, which was timely paid. In 1959, Universal reimbursed Mr. Warwick for Mrs. Warwick’s travel expenditures paid by him during and in respect of his 1959 annual business trip to Europe in the amount of $2,003.82.

The following schedule shows Mr. and Mrs. Warwick’s 1959 itinerary and Mrs. Warwick’s expenses incurred and paid.

*763 This trip took 50 days beginning January 10, 1959 and ending February 28, 1959.

London - 2 days $ 29.00

Meals, tips & taxis 13.40

42.40

Hamburg -4 days

Hotel 155.00

Cables & Telephone 45.00

Meals, tips & entertainment 82.60

282.60

Madrid - 16 days

Hotel 274.40

Meals, tips, taxis & entertainment 420.00

694.40

Hotel 221.20

Cables & telephone 167.00

Meals, tips & entertainment 142.30

530.50

Stockholm-4 days

Hotel 60.00

Meals, tips & entertainment 90.00

150.00

Glasgow - 4 days

Hotel 15.00

Meals, tips & entertainment 82.00

97.00

Hotel & entertainment 334.10

Cables 5.00

Meals, tips, taxis & entertainment 230.00

$569.10

$2,366.00

Total Expenditures $2,366.00

y3 of total was disallowed by Commissioner 788.67

Airplane fares paid by Universal: Richmond to New York and return 70.29

New York to London, England and return 858.20

London, England to Hamburg, Germany and return 83.20

Hamburg to Madrid to Stockholm 230.46

Total airplane fares 1215.15

1,215.15

Total of Mrs. Warwick’s expenses: $2,003.82

The Commissioner of Internal Revenue also treated as income to Mr. and Mrs. Warwick in 1959 the sum of $156.69 which it is conceded is properly included in income. Mr. and Mrs. Warwick did not report such reimbursement and payment totalling $2,160.51 (including the sum of $156.69 heretofore conceded) on their 1959 return. Upon audit, the Commissioner determined that this $2,-160.51 constituted income, and, as a result, assessed a deficiency for 1959 of $1,404.33, which was paid to the District Director on April 15, 1963, together with $250.60 assessed interest.

The Court finds the following additional facts:

Mr. Warwick was employed by Universal in an executive sales capacity during 1958 and 1959. He was a vice president and member of the Board of Directors. He started working for the company in 1927. He started travelling about 1935, and he has travelled a great deal each year since that time, with the exception of the war years.

For the years 1958 and 1959 Mr. Warwick’s annual salary was $17,500. He received a bonus in 1958 of $39,487.00, and a bonus in 1959 of $50,688.00.

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236 F. Supp. 761, 14 A.F.T.R.2d (RIA) 5817, 1964 U.S. Dist. LEXIS 6760, Counsel Stack Legal Research, https://law.counselstack.com/opinion/warwick-v-united-states-vaed-1964.