Bernard v. Commissioner

1973 T.C. Memo. 69, 32 T.C.M. 297, 1973 Tax Ct. Memo LEXIS 219
CourtUnited States Tax Court
DecidedMarch 26, 1973
DocketDocket No. 4605-70.
StatusUnpublished

This text of 1973 T.C. Memo. 69 (Bernard 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
Bernard v. Commissioner, 1973 T.C. Memo. 69, 32 T.C.M. 297, 1973 Tax Ct. Memo LEXIS 219 (tax 1973).

Opinion

ALBERT J. BERNARD and JANICE C. BERNARD, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Bernard v. Commissioner
Docket No. 4605-70.
United States Tax Court
T.C. Memo 1973-69; 1973 Tax Ct. Memo LEXIS 219; 32 T.C.M. (CCH) 297; T.C.M. (RIA) 73069;
March 26, 1973, Filed
*219

Held, petitioner was not in the separate business of promoting, financing, managing, and organizing businesses, or of lending money during the taxable years 1964 and 1965, and certain losses sustained by petitioner in those years are not deductible as business bad debts under sec. 166(d) (2), I.R.C. 1954.

Bernard L. Weddel, for the petitioners.
Lawrence G. Becker, for the respondent.

WITHEY

MEMORANDUM FINDINGS OF FACT AND OPINION

WITHEY, Judge: Respondent determined deficiencies in petitioners' income tax for the taxable years 1964 and 1965 2 in the respective amounts of $3,857.28 and $7,558.99. 1

The issues for our consideration are: (1) Whether the loss sustained by petitioner in 1964 due to the worthlessness of his common stock in Bohemian Surf Equipment Manufacturing Company is deductible by him as a business bad debt pursuant to section 166(a) (1), I.R.C. 1954, or as a worthless security under section 165(g), I.R.C. 1954; and (2) whether the losses sustained by petitioners in 1965 due to the worthlessness of loans made to this corporation *220 and Wesley Deas are deductible as business bad debts or as nonbusiness bad debts.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found.

Petitioners Albert J. and Janice C. Bernard are husband and wife and resided in San Francisco, California, when they filed the petition herein. They filed joint Federal income tax returns for the taxable years 1964 and 1965 with the district director of internal revenue, San Francisco.

Janice C. Bernard is a party to this controversy solely because she filed joint income tax returns for the years 1964 and 1965 with her husband Albert J. Bernard. Any 3 reference hereinafter to petitioner will refer solely to Albert J. Bernard.

In 1936 the petitioner began his employment as sales manager for the Louis F. Dow Company (hereinafter sometimes referred to as Dow), St. Paul, Minnesota. Petitioner maintained his position as sales manager for Dow through the taxable years involved herein. Dow sold promotional sales items. Petitioner spent between 30 and 50 hours each week in this work for Dow.

Beginning in about 1930 and continuing through the taxable years involved herein, the petitioner made investments in various business ventures. *221

At no time did Bernard receive a fee or salary from any of these ventures nor any benefit other than the normal investor's return.

On November 4, 1960, Velzy Sports Equipment Manufacturing Company was incorporated as a California corporation with authority to issue 25,000 shares of no par common stock.

On December 19, 1960, the Articles of Incorporation of the Velzy Equipment Manufacturing Company were amended to change its name to Bohemian Surf Equipment Manufacturing Company, sometimes hereinafter referred to as Bohemian Surf.

Petitioner acquired 3,010 shares of Bohemian Surf common stock in exchange for consideration of $30,100 as 4 follows:

June 1, 19612,010
November 12, 19621,000
Total3,010

From May 1, 1961 to April 12, 1962, petitioner was president of Bohemian Surf. He was also director of that corporation during the entire term of its existence. He did not receive compensation for serving in either of these positions.

In 1964 the common stock of Bohemian Surf held by petitioner became worthless.

Bohemian Surf at no time made an election under section 1372(a) of the Code of 1954.

At an unspecified date, the petitioner made a loan in the amount of $15,000 to Bohemian Surf, *222 which became worthless in 1965.

In 1958, petitioner loaned $2,500 to Wesley Deas. 2 In 1965, the loan to Deas became worthless.

On their joint Federal income tax return for the taxable year 1964, petitioners claimed a "loss on Investment Bohemian Surf. Mfg. Equip." in the amount of $30,100. Respondent in his statutory notice of deficiency disallowed this claimed deduction on the ground that it is a short-term 5 capital loss under section 166(d) of the 1954 Code. Respondent made a written motion to amend his answer to the petition, alleging that if the Court determines that the $30,100 in question was an investment in the common stock of Bohemian Surf and therefore a capital asset, the petitioners's loss is deductible as a loss from the worthlessness of a security under section 165(g)

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Bluebook (online)
1973 T.C. Memo. 69, 32 T.C.M. 297, 1973 Tax Ct. Memo LEXIS 219, Counsel Stack Legal Research, https://law.counselstack.com/opinion/bernard-v-commissioner-tax-1973.