Ainsworth v. Commissioner

1987 T.C. Memo. 398, 54 T.C.M. 122, 1987 Tax Ct. Memo LEXIS 395
CourtUnited States Tax Court
DecidedAugust 11, 1987
DocketDocket No. 17313-82.
StatusUnpublished
Cited by1 cases

This text of 1987 T.C. Memo. 398 (Ainsworth 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
Ainsworth v. Commissioner, 1987 T.C. Memo. 398, 54 T.C.M. 122, 1987 Tax Ct. Memo LEXIS 395 (tax 1987).

Opinion

WALTER AINSWORTH, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Ainsworth v. Commissioner
Docket No. 17313-82.
United States Tax Court
T.C. Memo 1987-398; 1987 Tax Ct. Memo LEXIS 395; 54 T.C.M. (CCH) 122; T.C.M. (RIA) 87398;
August 11, 1987.
Joe K. Gordon, for the petitioner.
Helen T. Repsis, for the respondent.

SCOTT

MEMORANDUM FINDINGS OF FACT AND OPINION

SCOTT, Judge: Respondent determined a deficiency of $ 40,424 in petitioner's Federal income tax for taxable year 1978. Some of the issues raised by the pleadings have been disposed of by agreement of the parties leaving for decision the amount, if any, of net operating loss carrybacks from the taxable years 1979 and 1980 to the taxable year 1978. The specific issues with respect to the amount, if any, of*398 the loss carrybacks are: (1) whether petitioner is entitled to the section 12441 stock loss claimed on his 1979 return, and if he is, whether that loss may be carried back to 1978; (2) whether petitioner is entitled to the Schedule E loss from a small business corporation claimed on his 1980 return and, if he is, whether that loss may be carried back to 1978; and (3) whether petitioner has adequately substantiated certain Schedule C deductions claimed on his 1979 and 1980 returns and additional amounts of deductible business expenses not shown on those returns but claimed at the trial.

FINDINGS OF FACT

Some of the facts have been stipulated and are found accordingly. Petitioner, Walter Ainsworth, who resided in Arlington, Texas at the time of the filing of his petition in this case, filed a joint Federal income tax return with this then wife, Marilyn Ainsworth, 2 for the taxable year 1978.

*399 On October 28, 1982 petitioner filed a Federal income tax return, Form 1040, for taxable year 1979 and a Federal income tax return, Form 1040X, for taxable year 1978 claiming a loss carryback to 1978 from the 1979 taxable year. Also on October 28, 1982 petitioner filed a Federal income tax return, Form 1040, for taxable year 1980 and a Federal income tax return, Form 1040X, for taxable year 1978 claiming a loss carryback to the year 1978 from the 1980 taxable year.

From late 1971 or early 1972 until December 1974 petitioner was employed by Motown Record Corporation ("Motown"). After leaving Motown he and another person formed Whitfield Records. Petitioner worked at Whitfield Records until mid-1977. Petitioner left Whitfield Records in June 1977 to form his own company, Dr. Rock Productions, Inc. (Dr. Rock) which was incorporated on July 15, 1977.

Dr. Rock filed corporate Federal income tax returns, Forms 1120, for its fiscal years ending June 30, 1978 and June 30, 1979. No contributions to the capital of Dr. Rock were reflected on those Forms 1120 or otherwise shown to have been made to Dr. Rock.

In 1978 petitioner executed three promissory notes in favor of Security Pacific*400 National Bank ("SPNB") dated May 1, 1978, June 19, 1978, and August 18, 1978 in the amounts of $ 20,000, $ 30,000 and $ 30,000, respectively.

In approximately June 1979 Dr. Rock ceased operations but filed no formal dissolution papers. Dr. Rock filed for bankruptcy in the summer of 1981.

Syndicate It, Inc., ("Syndicate It") was incorporated in 1980 by petitioner and Robert Dockery to produce and record radio programs for syndication. One of the programs it produced was Jazz Chronicles.

A copy of a cashier's check drawn on Cathay Bank, Los Angeles, dated June 26, 1980 payable to Syndicate It for $ 700 and a cashier's check drawn on Cathay Bank, Los Angeles, dated September 8, 1980 payable to Syndicate It for $ 5,000, were produced at the trial. On the Form 1120S filed by Syndicate It for taxable year 1980, no amount was shown as capital stock or paid-in as capital surplus.

On its Form 1120S for 1980 Syndicate It reflected a loss of $ 12,896 and the Schedules K-1 for each incorporator reflected a loss of $ 6,448.

On July 22, 1977, petitioner entered into a Vehicle Lease Agreement for a 1977 BMW. He continued to lease the BMW until the spring of 1980 when it was repossessed. *401 In 1979 petitioner paid $ 3,957.59 on this lease consisting of: $ 3,662.80 in rent, $ 219.79 in tax and $ 75 in late charges. In 1980 petitioner paid $ 820 on the BMW lease.

During 1979 petitioner owned a 1979 Datsun 280Z used primarily by his wife. In 1979 petitioner paid as automobile repairs an amount of $ 1,472.36 and an amount of $ 847 for a short-term automobile lease.

During 1979, petitioner began a music business consulting service as a sole proprietor and maintained an office for this business in Marina Del Ray, California. Petitioner paid rent in the amount of $ 6,000 for this office during 1979.

During 1979 petitioner paid Studio Intrument Rentals ("S.I.R.") $ 6,500 with two checks, one dated January 19, 1979 and the other dated February 17, 1979 in the amounts of $ 2,500 and $ 4,000, respectively.

Petitioner maintained an appointment calendar in 1980. On a number of dates a name would be entered with the notation lunch and an amount. The total of the amounts shown on this appointment calendar for 1980 is $ 3,537.

All of the adjustments made by respondent in his notice of deficiency and raised in the original petition have been disposed of by agreement*402 of the parties. The claimed loss carrybacks from 1979 and 1980 to 1978 now in issue are raised by an amendment to petition filed approximately one month prior to the date of the trial of this case.

OPINION

Section 1244 Stock Loss

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2000 T.C. Memo. 358 (U.S. Tax Court, 2000)

Cite This Page — Counsel Stack

Bluebook (online)
1987 T.C. Memo. 398, 54 T.C.M. 122, 1987 Tax Ct. Memo LEXIS 395, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ainsworth-v-commissioner-tax-1987.