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Weight Loss Program May be Deductible(navigation buttons at the end of the page) pro1040 © |
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Question or Topic |
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You may contact Bob Parrish by email, USA Mail, Fax, telephone or request a meeting The Question: Can I deduction the cost of a weight loss program? Objectives: Determine how to meet the qualifications to make the costs of weight-loss programs deductible. |
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The Answer |
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The following is a reprint of the IRS Revenue Ruling 2002-19. You may also read the IRS News Release - IRS News Release - Wt Loss Program Deductible Section
213 -- Medical, Dental, etc., Expenses
26 CFR 1.213-1: Medical, Dental, etc., Expenses. (Also
section 262; 1.262-1.) Rev.
Rul. 2002-19 ISSUE Are
uncompensated amounts paid by individuals for participation in a weight-loss
program as treatment for a specific disease or ailment (including obesity)
diagnosed by a physician and for diet food items expenses for medical care
that are deductible under section 213 of the Internal Revenue Code? FACTS Taxpayer
A is diagnosed by a physician as obese. A does not suffer from any other
specific disease. Taxpayer B is not obese but suffers from hypertension. B
has been directed by a physician to lose weight as treatment
for the hypertension. A
and B participate in the X weight-loss program. A and B are required to
pay an initial fee to join X and an additional fee to attend periodic
meetings. At the meetings participants develop a diet plan, receive diet
menus and literature, and discuss problems encountered in dieting. A and B
also purchase X brand reduced-calorie diet food items. Neither A's nor B's
costs are compensated by insurance or otherwise. LAW Section
213(a) allows a deduction for uncompensated expenses for medical
care of an individual, the individual's spouse or a dependent, to the
extent the expenses exceed 7.5 percent of adjusted gross income. Section
213(d)(1) provides, in part, that medical care means amounts paid for the
diagnosis, cure, mitigation, treatment, or prevention of disease, or for
the purpose of affecting any structure or function of the body. Under
section 1.213-1(e)(1)(ii) of the Income Tax Regulations, the deduction
for medical care expenses will be confined strictly to expenses incurred
primarily for the prevention or alleviation of a physical or mental defect
or illness. An expense that is merely beneficial to the general health of
an individual is not an expense for medical care.
Whether an expenditure is primarily for medical care or is merely
beneficial to general health is a question of fact. Section
262 provides that, except as otherwise expressly provided by the
Code, no deduction is allowed for personal, living, or family expenses. Rev.
Rul. 79-151, 1979-1 C.B. 116, holds that a taxpayer who participates
in a weight reduction program to improve the taxpayer's appearance,
general health, and sense of well-being, and not to cure a specific
ailment or disease, may not deduct the cost as a medical expense under
section 213. Rev.
Rul. 55-261, 1955-1 C.B. 307, holds that medical care includes the cost of
special food if (1) the food alleviates or treats an illness, (2) it is
not part of the normal nutritional needs of the taxpayer, and (3) the need
for the food is substantiated by a physician. However, special food
that is a substitute for the food the taxpayer normally consumes and that
satisfies the taxpayer's nutritional needs is not medical care. ANALYSIS Amounts
paid for the primary purpose of treating a disease are deductible
as medical care. Obesity is medically accepted to be a disease in its own
right. The National Heart, Lung, and Blood Institute, part of the National
Institutes of Health, describes obesity as a "complex, multifactorial
chronic disease." Clinical Guidelines on the Identification,
Evaluation, and Treatment of Overweight and Obesity in Adults (1998), page
vii. This report is based on an evaluation by a panel of health
professionals of scientific evidence published from 1980 to 1997. Other
government and scientific entities have reached similar conclusions.
For example, in a preamble to final regulations the Food and Drug
Administration states "obesity is a disease." 65 Fed. Reg. 1027,
1028 ( In
the present case, a physician has diagnosed A as suffering from a disease,
obesity. Therefore, the cost of A's participation in the X weight-loss
program as treatment for A's obesity is an amount paid for medical care
under section 213(d)(1). Although B is not suffering from obesity, B's
participation in X is part of the treatment for B's hypertension.
Therefore, B's cost of participating in the program is also an
amount paid for medical care. A and B may deduct under section 213
(subject to the limitations of that section) the fees to join the program
and to attend periodic meetings. These situations are distinguishable from
the facts of Rev. Rul. 79-151, in which the taxpayer was not suffering
from any specific disease or ailment and participated in a weight-loss
program merely to improve the taxpayer's general health and appearance. However,
A and B may not deduct any portion of the cost of purchasing
reduced-calorie diet foods because the foods are substitutes for the food
A and B normally consume and satisfy their nutritional requirements. HOLDING Uncompensated
amounts paid by individuals for participation in a weight-loss program as
treatment for a specific disease or diseases (including obesity) diagnosed
by a physician are expenses for medical care that are deductible under
section 213, subject to the limitations of that section.
The cost of purchasing diet
food items is not deductible under section 213. EFFECT
ON OTHER DOCUMENTS Rev.
Rul. 79-151 and Rev. Rul. 55-261 are distinguished. CONTACT
INFORMATION For
further information regarding this revenue ruling, contact John T.
Sapienza, Jr., on (202) 622-7900(not a toll-free call). |
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