Dean v. Commissioner

83 T.C. No. 6, 83 T.C. 56, 1984 U.S. Tax Ct. LEXIS 47
CourtUnited States Tax Court
DecidedJuly 19, 1984
DocketDocket No. 22565-80
StatusPublished
Cited by81 cases

This text of 83 T.C. No. 6 (Dean 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
Dean v. Commissioner, 83 T.C. No. 6, 83 T.C. 56, 1984 U.S. Tax Ct. LEXIS 47 (tax 1984).

Opinion

Featherston, Judge:

This case was assigned to and heard by Special Trial Judge John J. Pajak, pursuant to the provisions of section 7456(c) of the Code and Rules 180 and 181.1 The Court agrees with and adopts the Special Trial Judge’s opinion which is set forth below.

OPINION OF THE SPECIAL TRIAL JUDGE

Pajak, Special Trial Judge:

Respondent determined deficiencies in petitioners’ Federal income taxes for 1976 and 1977 in the amounts of $9,042 and $4,051, respectively. Respondent disallowed the distributable share of losses from a limited partnership, The Season Co., claimed on petitioners’ returns.

The issues for decision are: (1) Whether the partnership was engaged in for profit; (2) whether the partnership may deduct interest on certain nonrecourse indebtedness; (3) whether the partnership was a sham organized to create artificial tax deductions; (4) whether the nonrecourse indebtedness should be included in the bases of the partnership and the partners; (5) whether the partnership properly depreciated rights in an original paperback book, "The Season”; (6) whether the partnership was entitled to deduct various miscellaneous items under either section 162 or section 212; and (7) whether the agreement between the partnership and Pinnacle Books, Inc., constituted a sale of the partnership’s interest in the manuscript or a "lease of section 1245 property” within the meaning of section 465(c)(1)(C).2

This case is one of two groups of cases which were heard pursuant to test case procedures for purposes of judicial economy of benefit to petitioners, respondent, and the Court. For the same reason, since most of the witnesses had testimony relevant to each of the groups, the test cases of Fuchs, docket No. 18961-81, and Genstein, docket No. 18962-81, both decided this day in Fuchs v. Commissioner, 83 T.C. 79 (1984), were consolidated for trial at the same special session of the Court as was this case. The Fuchs case pertains to a limited partnership involving "The Chinese Ultimatum” original paperback book and rights thereto. This case pertains to a limited partnership involving "The Season” original paperback book and rights thereto.3

FINDINGS OF FACT

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

Petitioners John R. Dean and Florence Dean resided in Wexford, PA, when their petition was filed. On their 1976 and 1977 Federal income tax returns, petitioners deducted losses of $16,501 and $7,408, respectively, in connection with The Season Co. (Season Co.), a limited partnership formed under the laws of Pennsylvania. Respondent disallowed these loss deductions.

"The Season”; an Original Paperback Book

Patricia Hornung (Hornung) was the former spouse of Paul Hornung, the star halfback of the Vince Lombardi Green Bay-Packers. Apparently in 1975, she contacted Robin Moore (Moore) to seek assistance in writing a book about professional football as seen through the eyes of the wives and girlfriends of the players. Moore is the author or coauthor of such best selling books as "The Green Berets,” "The French Connection” (coauthor), and "The Happy Hooker” (coauthor), all three of which became highly successful motion pictures. Moore often used coauthors or ghostwriters to write books. Moore contacted Howard Liss (Liss) for his opinion and assistance. Liss is a professional writer who was the ghostwriter of several books for Moore.

Liss found Hornung’s initial draft unpublishable. Liss and Hornung met in the summer of 1975 so that Liss could write an original paperback book, "The Season.” Liss kept Hornung and Moore apprised of the progress being made on the draft, provided them with copies of work completed, and discussed with Moore future work on the paperback book. Moore did little, if any, of the actual writing. The cover of "The Season” lists as authors "Patricia Hornung & Robin Moore.”

During early 1976, Liss accompanied Moore to the office of Jack Klein (Klein), Moore’s accountant, whére a discussion occurred involving tax shelters. In February 1976, Moore contacted Liss and requested that Liss complete the book as fast as he could do so. Liss finished the book in about 2 weeks and gave it to Moore toward the end of February 1976.

Moore had copyrighted 14 books in the 5 years 1971 through 1975. "The Season” was one of 24 books subject to copyright in Moore’s name in 1976. Many more books were subject to copyright under Moore’s name in subsequent years.

Babbitt Tax Shelter Department

Babbitt, Meyers & Co. (Babbitt) was a regional member firm of the New York Stock Exchange, with its headquarters in Pittsburgh, PA, and with branch offices located throughout western Pennsylvania. During 1976, Robert E. Rose (Rose) was the manager of Babbitt’s tax shelter department. His function was to seek out, review, and coordinate the distribution of tax-advantaged investments to Babbitt’s customers.

Babbitt’s practice was to enter into an agreement on behalf of a partnership to be formed. If the offering was successful, the legal formalities of organizing a partnership were followed.

In late 1975 or early 1976, Babbitt began the development of tax shelter programs using books. Since neither Rose nor anyone else at Babbitt had any expertise in the publishing industry, Rose discussed the development of this program with George Mack (Mack) and others. Mack introduced Babbitt to the law firm of Regan, Goldfarb, Heller, Wetzler & Quinn (Regan Goldfarb), New York, NY. Marty Heller of Regan Goldfarb represented Moore. Heller introduced Rose to Moore in January or February 1976. Babbitt used Regan Goldfarb in developing book tax shelter programs. In 1976, Babbitt syndicated at least three limited partnerships which utilized paperback books bearing the name of Moore and different coauthors.

Season Co. Private Placement Memorandum

Babbitt offered $200,000 of limited partnership interests in the Season Co. by a private placement memorandum dated March 2, 1976. The Season Co. was established in the manner described in this memorandum. The memorandum stated in pertinent part that:

THIS INVESTMENT IS AVAILABLE ONLY TO THOSE OFFEREES WHOSE NET WORTH EXCLUSIVE OF HOME AND PERSONAL EFFECTS IS AT LEAST $200,000 OR SOME PORTION OF WHOSE CURRENT ANNUAL GROSS INCOME WOULD BE SUBJECT TO FEDERAL INCOME TAX AT A RATE OF 50% OR HIGHER AND WHOSE NET WORTH IS $100,000 OR MORE. * * *
Offering: $200,000 of Limited Partnership Interests to be offered by Babbitt, Meyers & Co. as exclusive agent for the Partnership; 25 Limited Partnership Interests of $8,000 each. Minimum purchase is one Limited Partnership Interest [which] requires (i) the payment of $2,000 in cash at the time of subscription, and (ii) the execution of a negotiable promissory note in the principal amount of $6,000 due in installments on September 1,1976 and January 31, 1977. * * *

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Bluebook (online)
83 T.C. No. 6, 83 T.C. 56, 1984 U.S. Tax Ct. LEXIS 47, Counsel Stack Legal Research, https://law.counselstack.com/opinion/dean-v-commissioner-tax-1984.