1985 Tax Ct. Memo LEXIS 432 | Tax Ct. | 1985
MEMORANDUM FINDINGS OF FACT AND OPINION
COHEN,
FINDINGS OF FACT
Some1985 Tax Ct. Memo LEXIS 432">*433 of the facts have been stipulated, and the stipulation is incorporated herein by this reference. Petitioners were residents of Houston, Texas, at the time they filed their petition herein. They filed joint Federal income tax returns with the Director, Internal Revenue Service, Austin, Texas, for the years 1980, 1981, 1982. On those returns they claimed charitable contributions to the Universal Life Church in the amounts of $11,133, $15,845, and $7,740, respectively.
With the exception of minor amounts paid for services and/or supplies, the amounts claimed as deductions were not sent to the Universal Life Church, Inc., of Modesto but were deposited into bank accounts maintained by local chapters of the Universal Life Church. One of those chapters was operated by petitioners out of their home, and they had sole signature authority over the bank account of that chapter. Of the total contributions claimed, $750 per month was paid to petitioners as a "housing allowance." Other amounts were spent for meals for petitioners, their eight children, and friends.
OPINION
Contrary to assertions made by petitioners, we are not have concerned with any attempt to interfere with petitioners' 1985 Tax Ct. Memo LEXIS 432">*434 rights under the
To secure a deduction for a charitable contribution under section 170(a), (b)(1), and (c), 1 petitioners must establish that they have made an unconditional gift to a qualified entity. See
Petitioners have not shown that this case is any different from the numerous other cases involving local chapters of the Universal Life Church, in which taxpayers failed to prove that the deductions claimed by them were qualified charitable contributions. Their retained control over the funds allegedly contributed and the inurement of the use of those funds to their personal benefit preclude deductibility. See, e.g.,
During the course of discovery and during trial, petitioners claimed that respondent and the Court should have accepted as evidence1985 Tax Ct. Memo LEXIS 432">*436 of their contributions purported receipts from the Universal Life Church, Inc., Modesto, California. The same contention was made in the same context in
Church records are admissible under the business records exception if a proper foundation is laid by a qualified witness. H.R. Conf. Rep. No. 93-1597, 93d Cong., 2d Sess. at 11,
In
C.
In view of Hensley's testimony as to the1985 Tax Ct. Memo LEXIS 432">*438 source of the information in those records and how ULC Modesto obtained the information, we seriously doubt that such records, even if produced, would constitute business records of ULC Modesto.
See also
This case is thus totally unlike the case relied on by petitioners,
Footnotes
1. Unless otherwise indicated, all statutory references are to the Internal Revenue Code of 1954, as amended and in effect during the years in issue. ↩
2. The Internal Revenue Service has announced that it will no longer recognize the tax-exempt status of the Universal Life Church, Modesto, California.
Announcement 84-90 ,36 I.R.B. 32">1984-36 I.R.B. 32↩ (September 4, 1984).