Jones v. Comr., T.C. Memo. 2013-132

(petitioner worked on commission basis for employer and was also entitled to percentage of revenue generated by a sales associate he recruited; for tax year in issue, he had $50,984 in non-employee compensation and claimed expenses of $45,011.62; IRS disallowed much of the claimed expense deductions due to lack of substantiation and credit card finance charge because it wasn't related to petitioner's business).