Beck v. Commissioner

1984 T.C. Memo. 279, 48 T.C.M. 162, 1984 Tax Ct. Memo LEXIS 394
CourtUnited States Tax Court
DecidedMay 24, 1984
DocketDocket Nos. 27527-82, 2371-83, 2440-83, 2456-83, 2478-83, 2501-83.
StatusUnpublished

This text of 1984 T.C. Memo. 279 (Beck 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
Beck v. Commissioner, 1984 T.C. Memo. 279, 48 T.C.M. 162, 1984 Tax Ct. Memo LEXIS 394 (tax 1984).

Opinion

FREDERICK W. BECK AND DORIS JEAN BECK, 1 et al., Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent.
Beck v. Commissioner
Docket Nos. 27527-82, 2371-83, 2440-83, 2456-83, 2478-83, 2501-83.
United States Tax Court
T.C. Memo 1984-279; 1984 Tax Ct. Memo LEXIS 394; 48 T.C.M. (CCH) 162; T.C.M. (RIA) 84279;
May 24, 1984.
Edward A. Vrooman, for the petitioner.
Brian Masumoto, for the respondent.

HAMBLEN

MEMORANDUM OPINION

HAMBLEN, Judge: These cases are before the Court on respondent's motion for partial summary judgment pursuant to Rule 121. 2 Respondent determined deficiencies in petitioners' 1975 Federal income taxes as follows: 3

Docket Nos.Amount of Deficiency
27527-82$8,581.11
2371-8319,980.00
2440-8322,527.56
2456-8334,170.00
2478-8323,921.72
2501-83196,689.00

*395 The sole issue for determination on the present motion is whether a partnership in which petitioner Frederick W. Beck was a partner is entitled to a deduction for depreciation under section 167 with respect to a motion picture entitled "The Man in the Trunk."

Petitioners Frederick and Doris Beck resided in Greenwich, Connecticut, when they filed their petition in this case and when they filed their joint 1975 Federal income tax return with the Internal Revenue Service Center at Hartford, Connecticut. Petitioners John and Kathe Dyson resided in Millbrook, New York, when they filed their petition in this case and when they filed their joint 1975 Federal income tax return with the Internal Revenue Service Center at Andover, Massachusetts. Petitioners Robert and Emilie Dyson resided in Pleasant Valley, New York, when they filed their petition in this case and resided in Poughkeepsie, New York, when they filed their joint 1975 Federal income tax return with the Internal Revenue Service Center at Andover, Massachusetts. Petitioner Anne Dyson resided in Beloit, Wisconsin, when she filed her petition in this case and resided in Millbrook, New York, when she filed her individual 1975*396 Federal income tax return with the Internal Revenue Service Center at Andover, Massachusetts. Petitioners John and Darlene Moran resided in Scarsdale, New York when they filed their petition in this case and when they filed their joint 1975 Federal income tax return with the Internal Revenue Service Center at Holtsville, New York. Petitioners Charles and Margaret Dyson resided in New York, New York, when they filed their petition in this case and resided in Scarsdale, New York, when they filed their joint 1975 Federal income tax return with the Internal Revenue Service Center at Holtsville, New York.

Petitioner Frederick Beck is a partner of The Valise Company, ("Valise"), a limited partnership. In November 1975, Valise purchased from Societte Nouvelle Des Establissements Gaumont the exclusive rights to distribute, exhibit, and exploit a motion picture entitled "The Man in the Trunk". Valise acquired this property by making a cash payment of $57,121.00 and signing a nonrecourse promissory note for $737,879.00, payable only from the distribution proceeds of the film.

Valise entered into a distribution agreement with Goldstone Film Enterprises, Inc. In December 1975, the film*397 was exhibited at three theaters in New York, New York and one theater in Memphis, Tennessee. The film was shown for no more than six days at any of the four theaters. Valise received no income in 1975 from the film's distribution.

Valise employed the cash method of accounting during 1975. On its 1975 return, Valise claimed $795,000.00 as a deduction for depreciation of the film under the income forecast method. The amount of the deduction equaled the total of the cash payment and promissory note signed to purchase the film. The deduction is characterized as depreciation on the first page of Valise's Form 1065 return, on Schedule L, and in an attached statement citing Rev. Rul. 60-358, 1960-2 C.B. 68, amplified by Rev. Rul. 64-273, 1964-2 C.B. 62, as authority for using the income forecast method.

As outlined by Rev. Rul. 60-358, under the income forecast method, depreciation under section 167 is calculated by multiplying the property's basis for depreciation by a fraction. The numerator of this fraction is the income derived from the property during the taxable year, and the denominator is the estimated total income to be derived from the*398 property. Valise showed no numerator or denominator in making its depreciation calculation for the return.

Respondent disallowed the deduction for depreciation. It is respondent's position that, where a partnership has received no income, the correct numerator to be used is zero, the partnership cannot claim a depreciation deduction under the income forecast method, and, as a result, the deductions which flow through the partnership to its partners are not allowable.

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Bluebook (online)
1984 T.C. Memo. 279, 48 T.C.M. 162, 1984 Tax Ct. Memo LEXIS 394, Counsel Stack Legal Research, https://law.counselstack.com/opinion/beck-v-commissioner-tax-1984.