Fox v. Commissioner

82 T.C. No. 75, 82 T.C. 1001, 1984 U.S. Tax Ct. LEXIS 55
CourtUnited States Tax Court
DecidedJune 25, 1984
DocketDocket Nos. 17931-81, 15520-82
StatusPublished
Cited by112 cases

This text of 82 T.C. No. 75 (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, 82 T.C. No. 75, 82 T.C. 1001, 1984 U.S. Tax Ct. LEXIS 55 (tax 1984).

Opinion

Nims, Judge:

Respondent determined deficiencies in petitioners’ Federal income tax as follows:

Year Deficiency
1977. $19,629
1978. 3,906
1979. 18,236

After concessions, the sole issue remaining for decision is whether petitioners are entitled to deduct certain losses under section 165(c)(2).1 These losses were realized on the disposition of purchased put options tied to specific U.S. Treasury bills (Treasury bills). The options positions in each instance represented half of so-called vertical put spread positions held by petitioners straddling the years in issue and 1980.

FINDINGS OF FACT

Some of the facts have been .stipulated and are found accordingly.

Petitioners Louis J. Fox (Fox or petitioner) and Dorothy C. Fox, husband and wife, resided in Harrison, N.Y., at the time the petitions in this case were filed.

During the years 1977 through 1980, Fox engaged in three sets of options transactions which resulted in the losses disputed here. The transactions were in over-the-counter options on specific U.S. Treasury bills. The market in which these trades were executed was unique and was created and administered by a brokerage firm known as Arbitrage Management.2 The market will be described in detail later in these findings.

All of the petitioner’s transactions were in put options, which are options to sell an underlying security at a particular price, on or before a particular date. All of petitioner’s transactions in put options were structured to establish positions known as vertical put spreads. A spread is a hedged position comprised of two substantially offsetting options positions. With a given change in the price of the underlying security, one option will appreciate in value while the other option will depreciate in value. The spread is ordinarily composed of one "long leg” — a purchased option — and one "short leg” — a sold (or granted)3 option. A vertical spread is a spread comprised of two options with the same expiration date but different strike prices.4

Petitioner engaged in three sets of transactions establishing vertical put spreads. The details and chronology of these transactions are set out in table I on page 1006. Because the transactions are thoroughly described in table I, only a brief textual synopsis will be provided below.

In the first set of transactions, Fox initiated nine vertical put spreads, opening the spreads on December 7, 1977, and closing out5 the spreads on December 30, 1977. Because petitioner’s positions in theory wagered against rises in the price of the underlying security, i.e., Treasury bills, these positions are known as bearish spreads.

The second set of transactions, straddling the years 1978 and 1979, was slightly more complex. Fox established two vertical put spreads on November 22, 1978. Instead of closing out the spreads in the next transactions, however, Fox executed so-called switches on December 28,1978. In a switch, only one leg of the spread is closed out and a new leg is then substituted to create, a different spread. In this case, Fox broadened the original spreads by substituting options with a strike price of 97.8125 for the initial long positions having a strike price of 97.75. The short leg of the spread remained in place with a strike price of 97.625. Both the initial and the post-switch spreads were bearish vertical put spreads. The spreads were closed out on January 23, 1979.

The third and final set of transactions, straddling the years 1979 and 1980, also involved switches but with a different result. Specifically, Fox established three executed switches on December 17, 1979. The resulting spreads were bullish spreads, in theory designed to capitalize on increases in thé price of the underlying Treasury bills. Fox closed out these positions on January 7, 1980.

Petitioner sustained net economic losses on each of the three sets of transactions described above. After commissions, his loss on the first set of transactions (1977) was $1,395; on the second set of transactions (1978-79), $386; and on the third set (1979-80), $843.

Petitioner reported ordinary losses6 and short-term capital gains for the years in issue and 1980 as follows, treating the dispositions of individual legs of the spreads as separate taxable events:

Year7 Ordinary loss Short-term capital gain
1977 $45,720
1978 15,802 $44,325
1979 45,837 29,558
1980 30,144 60,996
Total 137,503 134,879

All of petitioner’s reported losses were realized on the disposition of the "long” legs of his spreads, i.e., the purchased options. These losses were calculated as follows :

Year of loss 1977 1978 1979 1979 1980
Option (identified by strike price) 99.20 97.75 97.8125 97.20 97.02
Year of loss 1977 1978 1979 1979 1980 Date of opening transaction (purchase) 12/7/77 11/22/78 12/28/78 11/15/79 12/17/79
Net cost Date of closing transaction (sale) ($88,335) 12/30/77 ($67,126) 12/28/78 ($52,670) 1/23/79 ($153,093) ($119,631) 12/17/79 1/7/80
Net proceeds Amount of loss $42,615 ($45,720) $51,324 ($15,802) $38,528 ($14,142) $121,398 $89,487 ($31,695) ($30,144)

All of petitioner’s reported short-term capital gains were realized on the disposition of the "short” legs8 of his spreads, i.e., the granted options. These gains were calculated as follows:

Year of gain: 1978 1979 1980
Option (identified by strike price 99.10 97.625 97.08
Date of opening transaction (grant) 12/7/77. 11/22/78 11/15/79
Net proceeds Date of closing transaction (purchase) $80,415 12/30/77 $65,724 1/23/79 $151,527 1/7/80
Net cost Amount of gain ($36,090) $44,325 ($36,166) $29,558 ($90,531) $60,996

On three occasions, petitioner was required to make payments to a margin account in connection with these trades. He made these payments in the following amounts on the following days:

Date of check Amount
Dec. 7, 1977 . $15,000
Dec. 6, 1978 . 1,800
Nov. 12, 1979. 5,750

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82 T.C. No. 75, 82 T.C. 1001, 1984 U.S. Tax Ct. LEXIS 55, Counsel Stack Legal Research, https://law.counselstack.com/opinion/fox-v-commissioner-tax-1984.