Zimmermann v. Commissioner

1976 T.C. Memo. 123, 35 T.C.M. 559, 1976 Tax Ct. Memo LEXIS 282
CourtUnited States Tax Court
DecidedApril 21, 1976
DocketDocket No. 1088-75.
StatusUnpublished

This text of 1976 T.C. Memo. 123 (Zimmermann 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
Zimmermann v. Commissioner, 1976 T.C. Memo. 123, 35 T.C.M. 559, 1976 Tax Ct. Memo LEXIS 282 (tax 1976).

Opinion

GLORIA B. and PHILIP F. ZIMMERMANN, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Zimmermann v. Commissioner
Docket No. 1088-75.
United States Tax Court
T.C. Memo 1976-123; 1976 Tax Ct. Memo LEXIS 282; 35 T.C.M. (CCH) 559; T.C.M. (RIA) 760123;
April 21, 1976, Filed
Philip F. Zimmermann, pro se.
David W. Johnson, for the respondent.

FEATHERSTON

MEMORANDUM FINDINGS OF FACT AND OPINION

FEATHERSTON, Judge: Respondent determined a deficiency in the amount of $2,460.12 in petitioners' Federal income tax for 1971. Concessions having been made by petitioners, the following issues remain for resolution:

1. Whether certain payments received in 1971 by petitioner Gloria B. Zimmermann qualify as a fellowship or scholarship grant within the meaning of section 117; 1/ and

2. Whether petitioners are entitled, under section 162(a), section 212, or section 165(c), to deduct certain expenses incurred by petitioner Philip F. Zimmermann in motorcycle racing.

FINDINGS OF FACT

General

Petitioners Gloria B. Zimmermann (hereinafter Gloria) and Philip F. Zimmermann (hereinafter*284 Philip) resided in Bethany, Connecticut, at the time their petition was filed. They filed a joint Federal income tax return for 1971 with the Internal Revenue Service Center, Andover, Massachusetts.

1. The Section 117 Exclusion

In 1965 Gloria received a doctor of medicine degree from the medical school at the University of Santa Thomas in Manila, Philippine Islands. She served as an intern from 1966 to 1967 and as a resident in adult psychiatry from 1967 to 1970 at what is now known as Westchester Medical Center in New York. From July 1970 through June 1972, Gloria was a resident in child psychiatry at Roosevelt Hospital.

As a resident at Roosevelt Hospital, Gloria had routine working hours of 9 a.m. to 5 p.m., five days each week. She was given a caseload of about five patients. Her responsibilities included interviewing the patients, making diagnoses of their problems, consulting with their parents, prescribing and administering a program of treatment, and keeping the medical records of her patients. Gloria's work was subject to the supervision of staff physicians who would discuss with her the patients' problems and proposed treatment. She was often required to*285 present a discussion of her cases to a team of mental health specialists, e.g., social workers, psychologists, and psychiatrists, all of whom would give their views on the cases. Gloria also attended conferences and lectures dealing with cases handled by other physicians. Her duties and responsibilities with respect to her caseload were similar to those of staff psychiatrists except that they handled more patients.

Gloria spent many hours each week doing research and study in order to prepare diagnoses and treatment plans for her patients. The program in which she was a participant was similar to that of other residencies in medical specialties. During 1971 Gloria received a stipend totaling $12,675.13 from the hospital from which $1,817.46 was withheld for Federal income tax. The hospital provided Gloria with medical malpractice insurance and a 3-week paid vacation each year.

On their joint 1971 Federal income tax return, petitioners excluded as a fellowship or scholarship grant $3,600 of the payments Gloria received from Roosevelt Hospital. Respondent determined that the entire amount Gloria received constituted compensation and was not excludable from petitioners' gross*286 income.

2. The Motorcycle Racing Deduction

During 1971 Philip was employed full time by the New York City Police Department. He spent many of his weekends participating in motorcycle racing. He entered approximately 13 motorcycle races conducted by the Association of American Motorcycle Road Racers on five or six weekends during the year. In most of these races, prize money was awarded to the top finishers, the first place prize ranging from $150 to nearly $2,000. Those who finished second, third, or fourth received substantially smaller cash prizes, sometimes as low as $10. Philip never won a race offering prizes and earned no income from this activity in 1971, 1972, or 1973.

Philip never made a study of his prospects of realizing a profit from racing motorcycles, and he rode motorcycles for pleasure as well as in racing.

In connection with the use of his motorcycles, Philip expended the following amounts in 1971:

Purchase of motorcycles$2,175.00
Trailer hitch, tools, protective
equipment, and labor641.31
License and sales tax84.25
Entry fees and competition license125.00
Motorcycle trailer175.00
Total$3,200.56

On their joint*287 Federal income tax return for 1971, petitioners deducted $4,207 2/ as expenses associated with Philip's motorcycle racing.

ULTIMATE FINDINGS OF FACT

No part of the payments received by petitioner Gloria B. Zimmermann from Roosevelt Hospital constituted a fellowship or scholarship grant within the meaning of section 117.

The expenses incurred by petitioner Philip F.

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Bluebook (online)
1976 T.C. Memo. 123, 35 T.C.M. 559, 1976 Tax Ct. Memo LEXIS 282, Counsel Stack Legal Research, https://law.counselstack.com/opinion/zimmermann-v-commissioner-tax-1976.