ESTATE OF JAMES W. BOYLE v. COMMISSIONER

2001 T.C. Memo. 235, 82 T.C.M. 488, 2001 Tax Ct. Memo LEXIS 271
CourtUnited States Tax Court
DecidedSeptember 10, 2001
DocketNo. 18586-98
StatusUnpublished

This text of 2001 T.C. Memo. 235 (ESTATE OF JAMES W. BOYLE 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
ESTATE OF JAMES W. BOYLE v. COMMISSIONER, 2001 T.C. Memo. 235, 82 T.C.M. 488, 2001 Tax Ct. Memo LEXIS 271 (tax 2001).

Opinion

ESTATE OF JAMES W. BOYLE, DECEASED, NANCY A. BOYLE AND JAMES H. CASE, CO-PERSONAL REPRESENTATIVES AND NANCY A. BOYLE, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
ESTATE OF JAMES W. BOYLE v. COMMISSIONER
No. 18586-98
United States Tax Court
T.C. Memo 2001-235; 2001 Tax Ct. Memo LEXIS 271; 82 T.C.M. (CCH) 488;
September 10, 2001, Filed

*271 Decision will be entered for respondent.

David W. K. Wong, for petitioners.
Henry E. O'Neill, for respondent.
Marvel, L. Paige

MARVEL

MEMORANDUM FINDINGS OF FACT AND OPINION

MARVEL, JUDGE: Respondent determined a deficiency of $ 60,820 in the Federal income tax of petitioner Nancy A. Boyle (Mrs. Boyle) and her deceased husband, James W. Boyle (decedent), for 1995. The only issue 1 for decision is whether, under section 165, 2 the decedent and Mrs. Boyle properly deducted a casualty loss of $ 173,833 on their Federal income tax return for 1995.

FINDINGS OF FACT

The facts of this case have been fully stipulated pursuant to Rule 122. We incorporate the stipulation*272 of facts into our findings by this reference.

Petitioners are the Estate of James W. Boyle, Deceased, Mrs. Boyle and James H. Case, Co-Personal Representatives, and Mrs. Boyle, the surviving spouse of decedent. Decedent, who died on October 24, 1998, and Mrs. Boyle (together, the Boyles) were husband and wife during 1995 and timely filed a joint Federal income tax return for 1995. Mrs. Boyle and James H. Case are the duly appointed personal representatives of decedent's estate. Petitioners resided in Honolulu, Hawaii, on the date the petition was filed.

In June 1979, the Boyles purchased a commercial warehouse building (old warehouse) located in Honolulu, Hawaii. The Boyles owned the old warehouse as joint tenants at all relevant times. Their cost basis in the old warehouse as of June 1979 was $ 148,479. The Boyles depreciated the old warehouse using the straight-line method and a 20-year useful life, beginning in 1979, claiming annual depreciation deductions of $ 7,424. 3 On January 1, 1993, the Boyles' adjusted basis in the old warehouse was $ 48,255.

*273 On December 13, 1993, the old warehouse was completely destroyed by fire. Immediately prior to the fire, the fair market value of the old warehouse was between $ 600,000 and $ 700,000. Immediately after the fire, the fair market value of the old warehouse was zero. As of the date of the fire, the Boyles' adjusted basis in the old warehouse was $ 40,831.

When the fire occurred, the old warehouse was covered by a replacement cost fire insurance policy (insurance policy) issued by Pacific Insurance Co. (Pacific). The Boyles anticipated that the insurance policy would cover all the costs of constructing a new warehouse to replace the old warehouse and submitted a claim to Pacific. A dispute, however, arose between the Boyles and Pacific as to whether the insurance policy would cover that part of the construction costs associated with changes in building code requirements that occurred between the time the old warehouse originally was constructed and the date of the fire. As a result of that dispute, the amount of insurance reimbursement the Boyles reasonably expected to receive under the insurance policy was uncertain until 1995, when the Boyles and Pacific settled the claim. Pursuant*274 to the settlement, Pacific paid $ 553,793 to reimburse the Boyles for the destruction of the old warehouse, and the Boyles constructed a new warehouse at a total cost of $ 698,935 to replace the old warehouse. 4

On their 1995 Form 1040, U.S. Individual Income Tax Return, the Boyles claimed a depreciation deduction of $ 7,424 and a casualty loss in the amount of $ 173,833 with respect to the old warehouse. The parties stipulated that the casualty loss was computed as follows: 5

*275      Original cost of

         old warehouse (June 1979)    $ 148,479

     Cost of reconstruction          698,935

     Amortizable costs             112,360

                         ________

     Total Costs                959,774

     Less:

     Depreciation claimed         1 (122,495)

     Insurance Proceeds            (553,793)

     Amortization claimed           (109,653)

                         _________

     Casualty Loss Claimed           173,833

In his notice of deficiency, respondent*276 disallowed the claimed casualty loss because the insurance proceeds exceeded the Boyles' allowable loss. Respondent also disallowed the depreciation deduction claimed for 1995, and petitioners have conceded this adjustment.

OPINION

Section 165(a) and (c) allows a deduction for losses arising from fire or other qualifying casualty sustained during the taxable year and not compensated for by insurance or otherwise (casualty loss). See also sec. 1.165-7(a)(1), Income Tax Regs.

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2001 T.C. Memo. 235, 82 T.C.M. 488, 2001 Tax Ct. Memo LEXIS 271, Counsel Stack Legal Research, https://law.counselstack.com/opinion/estate-of-james-w-boyle-v-commissioner-tax-2001.