Chen v. Comm'r

2004 T.C. Memo. 132, 87 T.C.M. 1388, 2004 Tax Ct. Memo LEXIS 131
United States Tax Court·Decided June 1, 2004·No. No. 1271-03 ·Unpublished·Cited by 14 cases

Opinion

FRANK CHEN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Chen v. Comm'r
No. 1271-03
United States Tax Court
T.C. Memo 2004-132; 2004 Tax Ct. Memo LEXIS 131; 87 T.C.M. (CCH) 1388;
June 1, 2004, Filed

*131 Decision was entered for Petitioner.

During 1999, P incurred a net loss of $ 84,794 in connection

   with 323 transactions involving the purchase or sale of

   securities, most of which P held for less than 1 month.

   Approximately 94 percent (303) of those transactions occurred

   during February, March, and April 1999, with no transactions

   occurring in 6 of the other 9 months. Attached to P's petition

   was a purported retroactive election under sec. 475(f)(1),

   I.R.C., of mark-to-market accounting, available to "traders

   in securities", to be effective as of Jan. 1, 1999. P claims

   that, pursuant to that election, he is entitled to treat the

   loss arising out of his 1999 trading activities as a fully

   deductible, ordinary loss incurred in a trade or business under

  sec. 165(c)(1), I.R.C.      1. Held : During 1999, P was not a "trader in

   securities" eligible to make a mark-to-market election under

  sec. 475(f)(1), I.R.C.      2. Held, further, P is entitled to deduct his 1999

   net loss from purchases*132 and sales of securities to the extent of

  $ 3,000. Secs. 165(f), 1211(b)(1), I.R.C.

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Chen v. Comm'r, 2004 T.C. Memo. 132, 87 T.C.M. 1388, 2004 Tax Ct. Memo LEXIS 131 (tax 2004).

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