Fox v. Commissioner

80 T.C. No. 52, 80 T.C. 972, 1983 U.S. Tax Ct. LEXIS 80
CourtUnited States Tax Court
DecidedMay 18, 1983
DocketDocket Nos. 3593-81, 3600-81, 5029-81, 5632-81, 6169-81, 6342-81, 6996-81, 9256-81, 9460-81, 9462-81, 12191-81, 12192-81, 12194-81, 15663-81, 15664-81, 20703-81
StatusPublished
Cited by200 cases

This text of 80 T.C. No. 52 (Fox 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
Fox v. Commissioner, 80 T.C. No. 52, 80 T.C. 972, 1983 U.S. Tax Ct. LEXIS 80 (tax 1983).

Opinion

Nims, Judge-.

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

Docket No. Petitioners Addition to tax Year Deficiency sec. 6653(a)2
3593-81 Stuart I. Fox 1976 $1,900.00
1977 1,212.63
3600-81 Gerald J. Roncolato 1976 3,655.00
and Pauline H. Roncolato 1977 2,099.00
5029-81 Michael J. Aranson 1975 1,750.000 $87.50
and Patti J. Aranson 1976 21,482.00 1,074.10
1977 40,433.00 2,022.15
5632-81 Robert S. Markovitz 1975 6,987.00
and Adele B. Markovitz 1976 4,202.00
1977 3,188.00
6169-81 William P. Kratsa 1976 20,667.00
1977 12,235.00
6342-81 Richard J. Leffel 1976 10,815.00
and Marsha Leffel 1977 7,523.00
6996-81 Gerald E. Feldman 1975 5,497.26
and Anita T. Feldman 1976 12,422.50
1977 33,462.62
9256-81 Mervin S. Stewart 1976 8,431.00
and Marcia Stewart 1977 3,903.00
9460-81 Howard J. Hook 1976 9,552.00
and Sarah E. Hook 1977 4,585.00
9462-81 Reuben Zemel 1976 151.000
and Aida Zemel 1977 6,300.00
12191-81 John W. Barnard 1976 9,157.00
and June W. Barnard 1977 2,729.00
12192-81 Earl D. Kay, Jr., 1976 9,400.00
and Nancy O. Kay 1977 4,585.00
12194-81 Joseph J. Allen 1976 9,087.00
and Jennene S. Allen 1977 4,790.00
15663-81 Ronald I. Dozoretz 1976- 52,341.00
and Marilyn B. Dozoretz
Addition to tax Docket No. Petitioners Year Deficiency sec. 6653(a)2
15664-81 Walter A. Gunkler 1976 $60,078.00
1977 44.00
20703-81 Stanley Rosenblatt 1976 8,259.09
1977 6,517.22

These cases were consolidated only for the purpose of deciding the extent to which the petitioners may deduct their distributive share of partnership losses of two partnerships, J. W. Associates and Scorpio ’76 Associates, in 1976 and 1977. Resolution of these issues will allow for the entry of decision in the following docket numbers: 3593-81, 3600-81,3 6169-81, 6342-81, 9460-81, 9462-81,12191-81,12192-81,12194-81, and 20703-81. After our opinion herein, the following cases will be restored to the general docket for resolution of other issues not involving J. W. Associates or Scorpio ’76 Associates: 5029-81, 5632-81, 6996-81, 9256-81,15663-81, and 15664-81.

The specific issues for decision involving J. W. Associates and Scorpio ’76 Associates are:

(1) Whether the purported acquisition of book publishing rights by these partnerships was a sham, serving no business purpose and lacking any economic substance, such that the claimed partnership losses should be disallowed entirely;
(2) Whether the publishing activities of these partnerships constituted activities not engaged in for profit within the meaning of section 183;
(3) Whether the partners and partnerships may include in their bases (for purposes of sections 704(d) and 167) the nonrecourse notes given by the partnerships to Laurel Tape & Film, Inc., in connection with the alleged purchase of book publishing rights;
(4) Whether the partnerships may properly deduct under section 163 interest accrued on the above-mentioned nonrec-ourse notes;
(5) Whether the partnerships have employed proper methods of depreciating their book publishing rights and whether they have established the proper depreciable bases of those rights;
(6) Whether the partnerships have established the deducti-bility of various miscellaneous items under either section 162 or section 212;
(7) Whether the petitioners have established that they were partners in the partnerships during 1976 and 1977 and, if so, that their claimed losses reflect the varying interests of the partners in items of income and deduction within the meaning of section 706(c)(2)(B), and
(8) Whether evidence concerning other partnerships promoted by Resource Investments, Inc., may be considered in determining the issues involving J. W. Associates and Scorpio ’76 Associates.

FINDINGS OF FACT

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

Petitioner Stuart I. Fox resided at Williamsville, N.Y., at the time he filed the petition in docket No. 3593-81. On his 1976 and 1977 income tax returns, he deducted losses of $6,059 and $3,057, respectively, in connection with J. W. Associates.

Petitioners Gerald J. Roncolato and Pauline H. Roncolato, husband and wife, resided at Elma, N.Y., at the time they filed the petition in docket No. 3600-81. On their 1976 and 1977 income tax returns, they deducted losses of $12,118 and $6,113, respectively, in connection with J. W. Associates.

Petitioners Michael J. Aranson (hereinafter Aranson) and Patti J. Aranson, husband and wife, resided at Pittsburgh, Pa., at the time they filed the petition in docket No. 5029-81. On their 1976 and 1977 income tax returns, they deducted losses of $202 and $10,087, respectively, in connection with J. W. Associates and $4,075 and $18,673, respectively, in connection with Scorpio ’76 Associates.

Petitioners Robert S. Markovitz (hereinafter Markovitz) and Adele B. Markovitz, husband and wife, resided at Pittsburgh, Pa., at the time they filed the petition in docket No. 5632-81. On their 1976 and 1977 income tax returns, they deducted losses of $4,116 and $2,829, respectively, in connection with Scorpio ’76 Associates.

Petitioner William P. Kratsa resided at Pittsburgh, Pa., at the time he filed the petition in docket No. 6169-81. On his 1976 and 1977 income tax returns, he deducted losses of $32,599 and $22,407, respectively, in connection with Scorpio ’76 Associates.

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Bluebook (online)
80 T.C. No. 52, 80 T.C. 972, 1983 U.S. Tax Ct. LEXIS 80, Counsel Stack Legal Research, https://law.counselstack.com/opinion/fox-v-commissioner-tax-1983.