Crigler v. Comm'r

2003 T.C. Memo. 93, 85 T.C.M. 1091, 2003 Tax Ct. Memo LEXIS 93
CourtUnited States Tax Court
DecidedMarch 28, 2003
DocketNo. 9233-99
StatusUnpublished
Cited by7 cases

This text of 2003 T.C. Memo. 93 (Crigler v. Comm'r) 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
Crigler v. Comm'r, 2003 T.C. Memo. 93, 85 T.C.M. 1091, 2003 Tax Ct. Memo LEXIS 93 (tax 2003).

Opinion

T.P. AND NAJIEH R. CRIGLER, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Crigler v. Comm'r
No. 9233-99
United States Tax Court
T.C. Memo 2003-93; 2003 Tax Ct. Memo LEXIS 93; 85 T.C.M. (CCH) 1091; T.C.M. (RIA) 55101;
March 28, 2003, Filed

*93 Court held that petitioners may not deduct ordinary loss of $ 100,000 for loss in value of petitioner's FabuGlass stock in 1995. Court held that petitioners were liable for accuracy-related penalty for negligence for 1995. Judgment entered for respondent.

T.P. Crigler, pro se.
James R. Rich, for respondent.
Colvin, John O.

COLVIN

MEMORANDUM FINDINGS OF FACT AND OPINION

COLVIN, Judge: Respondent determined a deficiency in petitioners' Federal income tax of $ 19,675 and an accuracy-related penalty under section 6662 of $ 3,935 for 1995.

The issues for decision are:

1. Whether petitioners may deduct an ordinary loss of $ 100,000 under section 1244 for loss in value of petitioner's FabuGlass stock in 1995. We hold that they may not.

2. Whether petitioners are liable for the accuracy-related penalty for negligence under section 6662 for 1995. We hold that they are.

Unless otherwise provided, section references are to the Internal Revenue Code in effect for 1995, and Rule references are to the Tax Court Rules of Practice and Procedure. References to petitioner are to Mr. Crigler.

             FINDINGS OF FACT

Some of the facts have been stipulated and are so found. Petitioners resided in Chapel Hill, North Carolina, when they filed their petition.

A. FabuGlass, Inc.

1. B.F. Lists, Inc.

In 1981, petitioner incorporated B.F. Lists, Inc. (B. *94 F. Lists), in Arkansas to obtain, rent, and market mailing lists for the retail sale of professional uniforms and accessories. Petitioner converted a rodeo arena in Conway, Arkansas, into a mail order office, warehouse, and shipping facility (the Conway premises) at a date not specified in the record.

2. FabuGlass, Inc. and Crigler & Co.

Petitioner changed the name of B. F. Lists to FabuGlass, Inc. (FabuGlass), in 1985, and he changed the name of FabuGlass to Crigler & Co. in 1996. 1

Petitioner owned all of the stock of FabuGlass from 1987- 98. The articles of incorporation adopted in 1985 state that FabuGlass was formed to manufacture, market, and distribute fiberglass-reinforced plastic products, accessories, and related items.

3. FabuGlass' Activities

FabuGlass manufactured fiberglass Jeep tops and related parts in 1985 and 1986 at the Conway premises. FabuGlass had serious business problems*95 in 1985 and 1986 which petitioner tried to correct. In August 1987, FabuGlass agreed to supply Pender Boat Co. (Pender), a North Carolina company, with fiberglass molds for Jeep parts, and Pender agreed to furnish Jeep parts to FabuGlass. FabuGlass bought sixteen fiberglass Jeep parts from Pender in October and November 1987. Petitioner was not satisfied with the parts that Pender produced. Drug Enforcement Administration (DEA) officials in North Carolina apparently confiscated FabuGlass' molds from Pender on a date not stated in the record.

FabuGlass reported $ 0 sales or costs of goods sold in 1989. It rented the Conway premises to an unidentified tenant for $ 66,000 in 1989.

FabuGlass purchased $ 922,370 of securities for investment in 1989. In 1989, FabuGlass also had receivables of $ 1,015, liquid assets of $ 899, and owned a building with a book value of $ 248,681 less accumulated depreciation of $ 125,228.

In 1990-95, FabuGlass derived income from renting real property and trading stocks and securities. Petitioner operated FabuGlass as a business consulting company in 1996 and 1997.

FabuGlass was an Arkansas corporation that had filed all required reports and paid all required*96 fees and taxes as of the date of trial. It had not liquidated its assets or filed for bankruptcy protection as of the date of trial.

B. AmRuss, Ltd.

In 1992 or 1993, Raymond Sawyer (Sawyer), petitioners' accountant, and petitioner attempted to do business in Russia through AmRuss, Ltd. (AmRuss). FabuGlass was not involved in petitioner's efforts to do business in Russia.

In 1991-94, Charles Layman (Layman) owned a company called Murphy Body Co. Murphy Body Co., AmRuss, and a Russian entity named Association Vnedrenie agreed to do business converting vehicles into refrigerated or armored trucks, ambulances, and other specially used vehicles in 1991-94. The contract between Murphy Body Co., AmRuss, and Association Vnedrenie is not in evidence. An "Addendum to Charter and By-Laws of Vnedrenie-Murphy" was prepared for petitioner's signature in his capacity as chairman of AmRuss.

On December 22, 1994, AmRuss agreed to sell an armored vehicle to a Russian entity named Bank Baltisky. Petitioner signed the sales contract as president of AmRuss.

C. Tax Returns for FabuGlass

Sawyer or his employees prepared the Federal corporate income tax returns for FabuGlass for 1990-93. Petitioner*97 gave Sawyer information relating to income, expenses, and various stock transactions to use in preparing the returns. FabuGlass reported on its returns for 1990-93 that it was an investment company and that its business activity was investing in financial securities and real estate.

Petitioner prepared and signed the original 1994 return for FabuGlass.

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2003 T.C. Memo. 93, 85 T.C.M. 1091, 2003 Tax Ct. Memo LEXIS 93, Counsel Stack Legal Research, https://law.counselstack.com/opinion/crigler-v-commr-tax-2003.