Coe v. Commissioner

1974 T.C. Memo. 129, 33 T.C.M. 592, 1974 Tax Ct. Memo LEXIS 190
United States Tax Court·Decided May 15, 1974·No. Docket No. 1289-72·Unpublished·Cited by 1 cases

Opinion

JAMES AND FRANCIA COE, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Coe v. Commissioner
Docket No. 1289-72
United States Tax Court
T.C. Memo 1974-129; 1974 Tax Ct. Memo LEXIS 190; 33 T.C.M. (CCH) 592; T.C.M. (RIA) 74129;
May 15, 1974, Filed.
Towner Leeper, for the petitioners.
Thomas J. Miller, for the respondent.

FAY

MEMORANDUM FINDINGS OF FACT AND OPINION

FAY, Judge: Respondent has determined deficiencies in the Federal income taxes of petitioners for the designated years in the following amounts:

YearDeficiency
1968$5,891.63
19695,403.00
1970 14,460.92

The issues presented for decision are (1) whether the horse activities conducted by Francia Coe in 1968 and 1969 constituted a trade or business entered into for profit, so that the expenses attributable thereto are deductible,*191 and (2) whether the loss on the sale of the horse, High Pressure, by petitioners in 1968 should be treated as a nondeductible loss on the sale of a personal asset.

The second issue is completely dependent on the first. If we find that petitioners' horse activities were conducted as a trade or business, then the loss claimed as a result of the sale of the horse is deductible. If on the other hand we find that the horse activity was personal in nature, then the horse is a personal asset and the loss claimed as a result of the sale of that asset is nondeductible.

FINDINGS OF FACT

some of the facts have been stipulated and are found accordingly. The stipulation of facts and the exhibits attached thereto are incorporated herein by this reference.

The petitioners, James Coe and Francia Coe (Francia), are husband and wife who maintained their residence in El Paso, Texas, when the petition herein was filed. They filed joint Federal income tax returns for the calendar years 1968 and 1969 with the internal revenue service center at Austin, Texas. Any reference to "petitioner" hereinafter shall be deemed to mean Francia.

The activity in question before us is that of raising and*192 breeding American saddle bred horses. This is a particular breed of horse known for its distinctive gaits and is used almost exclusively for exhibition in horse shows.

Petitioner first became interested in American saddle bred horses in 1951, at the age of 12. At this time she acquired her first American saddle bred, a mare named Rose Ann's Genuis, for $2500. Two years later, after showing Ross Ann's Genius extensively in the southwestern United States, she was offered $10,000 for the mare. This offer was turned down and Francia continued to exhibit the horse in various shows. In 1960 petitioner purchased another mare, Silver Fern, for $750 as a yearling. Subsequently, Francia had the horse properly trained and began exhibiting her. During, or just prior to, 1964 an offer was made to petitioner for purchase of Silver Fern for the amount of $35,000 which she likewise turned down.

It was about this time that petitioner realized the great profit potential in raising and breeding American saddle bred horses and decided to merge what had previously been a solely personal endeavor on her part into what she hoped would be a profitable business venture. It was with this thought in*193 mind that petitioner turned down the purchase offer for Silver Fern in favor of continuing to exhibit the animal in the hopes of establishing the horse's record as a show horse. The idea behind this action was that of eventually retiring Silver Fern to breed and then selling her colts for what Francia hoped would be the market price of $2,500 each.

Petitioner subsequently became owner of several other horses summarized as follows:

NameSexPurchasedAmountOwnership
All Glorymare1/1/64/-Still owned
Silver Fernmare1960$750.00Still owned
Charlaminemare1964$10,500.00Sold 1966 for $15,000.00
Colonial Silver (1/2 interest)geldingafter 1970-Sold
Silver Servicegelding4/30/67$1,500.00Still owned
Draper Dangelding11/20/66$2,500.00Sold 1972 for $5,000.00
El Dorado (1/2 interest)

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Coe v. Commissioner, 1974 T.C. Memo. 129, 33 T.C.M. 592, 1974 Tax Ct. Memo LEXIS 190 (tax 1974).

1974 T.C. Memo. 129 (Coe v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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