1945 U.S. Tax Ct. LEXIS 87">*87
Income Tax -- Deductions -- Contributions. -- Unincorporated organizations of volunteer firemen
5 T.C. 712">*713 OPINION.
The Commissioner determined a deficiency of $ 414.49 in the petitioner's income tax for the calendar year 1940. The only issue is whether the petitioner is entitled to deductions under
The petitioner is a resident of Westmoreland County, Pennsylvania, and filed his Federal income tax return for the calendar year 1940 with the collector of internal revenue for the twenty-third district of Pennsylvania, at Pittsburgh. He made donations during 1940 to several volunteer fire departments and hose companies located in the vicinity of his residence and claimed deduction for the amount of those donations on his income tax return for that year. The1945 U.S. Tax Ct. LEXIS 87">*88 Commissioner disallowed the deduction, but now concedes that he erred in disallowing a deduction made to the Greensburg Volunteer Firemen's Relief Association.
The organizations to which the donations still in question were made were unincorporated associations of individuals organized and operated for the prevention of fires and the protection of life and property from loss by fire and other disasters in the municipalities where they are located and in surrounding communities. There is no other organization in those communities for the prevention and combating of fires. Each of the organizations is equipped and maintained through voluntary contributions made by the municipality in which it is located and by individuals and corporations in that community, and by funds derived from lawn fetes, carnivals, and similar activities. The members of each organization contribute their services voluntarily and without charge. No part of the earnings of any of these organizations inures to the benefit of any private shareholder or individual. They do not carry on propaganda or otherwise attempt to influence legislation.
The question for decision is whether the petitioner is entitled to 1945 U.S. Tax Ct. LEXIS 87">*89 a deduction under
The Supreme Court of Pennsylvania held that the duty of extinguishing fires and saving people therefrom1945 U.S. Tax Ct. LEXIS 87">*90 is a public duty; the agency to which such authority is delegated is a public agency, the duties of which are of a public character for the benefit of the public; and the agencies organized as a public benefaction and lessening the burden of the government are charitable within the broad sense of that term.
It would also appear from the laws of Pennsylvania that the authority to fight fires has been delegated to these companies by the state or some subdivision thereof, and it may be that the contributions would be deductible under