Fife v. Commissioner

82 T.C. No. 1, 82 T.C. 1, 1984 U.S. Tax Ct. LEXIS 128
CourtUnited States Tax Court
DecidedJanuary 4, 1984
DocketDocket Nos. 3150-80, 3154-80, 3155-80, 25463-81, 25603-81, 20922-82
StatusPublished
Cited by31 cases

This text of 82 T.C. No. 1 (Fife 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
Fife v. Commissioner, 82 T.C. No. 1, 82 T.C. 1, 1984 U.S. Tax Ct. LEXIS 128 (tax 1984).

Opinion

OPINION

Sterrett, Judge:

These six consolidated cases are before the Court on respondent’s motion for partial summary judgment pursuant to Rule 121, Tax Court Rules of Practice and Procedure. The issues for decision raised by the motion are (1) whether Jupiter Associates is entitled to depreciation deductions for the taxable years in question under the income forecast method; and (2) in two of the cases (docket Nos. 3Í50-80 and 3154-80), whether the Jupiter Associates partners are entitled to claim an investment tax credit on a motion picture film that was exhibited in Europe prior to its acquisition by the partnership.

In these consolidated cases, respondent determined the following deficiencies in petitioners’ Federal income taxes:

Docket No. Petitioner 3150-80 Martin D. Fife and Barbara J. Fife TYE Dec. 31-1973 Deficiency2 $92,837.00
3154-80 Isaac H. Friedman and Judith Friedman, deceased 1973 1974 1975 14,999.64 18,259.17 10,723.57
3155-80 Harold Rand and Lillian Rand 1973 919.00
25463-81 Isaac Friedman and Judith Friedman, deceased 1976 1977 4,804.00 3,163.00
25603-81 Arthur Paturick and Sarah Paturick • 1976 1977 3,119.00 2,622.00
Docket No. Petitioner TYE Dec. 31— Deficiency
20922-82 Martin Fife and Barbara Fife 1974 $159,369.00 1975 85,624.00 1976 100,110.00 1977 89,504.00

These deficiencies resulted from the disallowance of depreciation deductions and investment tax credits claimed by Jupiter Associates along with certain other adjustments not now before us.

Petitioners Martin D. Fife and his wife, Barbara J. Fife, resided in New York, N.Y., at the time of filing the petitions herein. They timely filed joint Federal income tax returns for the calendar years 1973, 1974, 1975, 1976, and 1977 with the Internal Revenue Service Center, New York, N.Y., and/or Holtsville, N.Y.

Petitioners Isaac H. Friedman and his wife, Judith Friedman (deceased), resided in New York, N.Y., at the time of filing the petitions herein. They timely filed joint Federal income tax returns for the calendar years 1973, 1974, 1975, 1976, and 1977 with the Internal Revenue Service Center, New York, N.Y., and/or Holtsville, N.Y.

Petitioners 'Harold Rand and his wife, Lillian Rand, resided in New Rochelle, N.Y., at the time of filing the petition herein. They timely filed a joint Federal income tax return for the calendar year 1973 with the Internal Revenue Service Center, New York, N.Y., and/or Holtsville, N.Y.

Petitioners Arthur Paturick and his wife, Sarah Paturick, resided in Harrison, N;Y., at the time of filing the petition herein. They timely filed joint Federal income tax returns for the calendar years 1976 and 1977 with the Internal Revenue Service Center, Holtsville, N.Y.

Each of the six consolidated cases involves a partner in Jupiter Associates, a limited partnership organized under the laws of the State of New York. On December 14,1973, Jupiter Associates acquired the sole and exclusive right, title, privileges, interest, and ownership to exhibit, distribute, and otherwise exploit the motion picture entitled "La Veuve Couderc” (hereinafter referred to as the picture) in the United States, portions of Canada, and certain other limited areas of the world (hereinafter referred to as the territory). The picture was produced in France by Raymond Danon (a Lira Films and Pegaso Films co-production), was directed by Pierre Granier Deferre, and starred Simone Signoret and Alain Delon. According to the terms of the purchase agreement, the seller, Continental Film Distributors, Ltd., warranted that the expenses of production of the picture were not less than $2 million.3

Although the picture had not been released, distributed, or exhibited in any form or by any media in any part of the territory at the time of the sale, it had been previously exhibited extensively in Europe. The gross box office receipts derived from the exploitation and distribution of the picture outside the territory were $5,450,000 at the time of the purchase by Jupiter Associates.

According to the terms of the purchase agreement, Continental Film Distributors, Ltd., agreed to deliver all of the following materials of the picture to Jupiter Associates on or before December 30, 1973:

(a) One full-length brand new, unused 35 mm color iriternegative of the Picture in first class condition, together with a complete negative of the sound track of the English version of the Picture, corrected and fully synchronized and containing proper music and effects and complete with English titles and credits.
(b) One brand new, unused interpositive of the clear background for the main and end titles.
(c) Ten (10) press books of the Picture.
(d) Fifty (50) color stills and fifty (50) black and white stills of the Picture.
(e) One complete commercially acceptable release color print of the Picture, in first class condition, cleared through United States Customs.
(f) One color reversal internegative of trailer.
(g) One English optical sound track of trailer.
(h) One complete color print of trailer.

In exchange, Jupiter Associates agreed to pay $1,449,500 for the preprint materials of, and relating to, the picture, $50,000 for the copyrights, and $500 for the release print for an aggregate purchase price of $1,500,000. This amount was payable as follows:

(a) $75,000 by cash or certified check payable upon execution of the agreement,
(b) a negotiable promissory note for $90,000 bearing no interest and due on April 30, 1974,
(c) a $1,335,000 nonrecourse note with, simple interest at the rate of 6 percent payable only out of (i) 65 percent of the net distribution proceeds derived from exploitation of the picture in the territory by all means and media except television, and (ii) 75 percent of the net distribution proceeds derived from television exploitation of the picture.

For purposes of the agreement, the term "net distribution proceeds” was defined as the moneys actually received by Jupiter Associates from exhibitors, distributors, franchise holders, and the like, less all fees and expenses of exploitation and distribution.

The distribution of the picture in the territory proved to be a commercial flop. The partnership tax returns indicate that Jupiter Associates had the following gross income, depreciation deductions, and ordinary losses during the years in issue:

Taxable Gross year income Depreciation deduction Ordinary loss claimed
1973 $258,673 $280,959
1974 487,773 508,776

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Bluebook (online)
82 T.C. No. 1, 82 T.C. 1, 1984 U.S. Tax Ct. LEXIS 128, Counsel Stack Legal Research, https://law.counselstack.com/opinion/fife-v-commissioner-tax-1984.