FOX v. COMMISSIONER

1985 T.C. Memo. 82, 49 T.C.M. 801, 1985 Tax Ct. Memo LEXIS 550
CourtUnited States Tax Court
DecidedFebruary 25, 1985
DocketDocket No. 23391-81.
StatusUnpublished

This text of 1985 T.C. Memo. 82 (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, 1985 T.C. Memo. 82, 49 T.C.M. 801, 1985 Tax Ct. Memo LEXIS 550 (tax 1985).

Opinion

WILLIAM L. FOX, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
FOX v. COMMISSIONER
Docket No. 23391-81.
United States Tax Court
T.C. Memo 1985-82; 1985 Tax Ct. Memo LEXIS 550; 49 T.C.M. (CCH) 801; T.C.M. (RIA) 85082;
February 25, 1985.
William L. Fox, pro se.
*552 Vera E. Gilford, for the respondent.

WHITAKER

MEMORANDUM FINDINGS OF FACT AND OPINION

WHITAKER, Judge: Respondent determined deficiencies in petitioner's income tax liability for the years and in the amounts as follows:

YearsAmounts
1977$159.00
1978632.64
1979640.00

These deficiencies all arise out of the disallowance by respondent of capital loss deductions claimed on petitioner's income tax return for the year 1977 of $2,000 and for the years 1978 and 1979 of $3,000 each, all carried forward from a net capital loss in the amount of $25,479.15 claimed on his return for the year 1976. The principal component of this net capital loss is a loss in the amount of $27,450 suffered in a sheriff's sale of petitioner's undivided interest in his former residence. For convenience our findings of fact and opinion are combined.

Some of the facts have been stipulated and are so found. When the petition in this case was filed petitioner's residence was in Jupiter, Florida.

Capital Loss

The loss on the former residence claimed by petitioner in 1976 arose out of the following sequence of events. In 1972, petitioner and his then*553 wife, Florence E. Fox, purchased as tenants in common 1 a house and lot in Tequesta, Florida (the Tequesta property) which they occupied as their residence until 1975. By order of the Circuit Court for the Fifteenth Judicial Circuit of Florida in and for Palm Beach County (the Circuit Court) dated September 23, 1975, petitioner was directed to vacate the Tequesta property on or before September 21, 1975. Mrs. Fox was given temporary and exclusive possession both of the house and its contents. By order of the same court dated March 30, 1976, petitioner and Mrs. Fox were divorced with exclusive possession of the Tequesta property and its contents granted to Mrs. Fox while she continued unmarried and residing therein with the parties' minor child. Among other provisions the divorce decree also gave Mrs. Fox a judgment against petitioner for a specific sum for arrearage of support and other monies, and Mrs. Fox's attorney was given a judgment against petitioner for the sum of $2,170.80. Levy was made upon the undivided one-half interest of petitioner in the Tequesta property to satisfy the attorney's judgment. This levy resulted in a sheriff's sale of petitioner's interest in that*554 property at public auction held on July 22, 1976 for $1,000.Mrs. Fox became the purchaser, at the instance of her attorney, and received a sheriff's deed to the property on the same date.

In the meantime in April 1976 petitioner and his former wife listed the Tequesta property for sale with a realtor at an asking price of $74,900. The listing was thereafter withdrawn or suspended by Mrs. Fox without petitioner's consent. On July 30, 1976, Mrs. Fox entered into a contract of sale, consummating the sale by deed dated August 17, 1976 at a price of $66,500. 2

Petitioner has contended that his former spouse and her attorney defrauded him by purchasing*555 his undivided interest in the property for $1,000 in anticipation of sale of the property. He has filed a variety of civil actions in the Circuit Court against his former wife, her lawyer and various other lawyers who have heretofore represented him with respect to various aspects of the sale of his interest in the house, on account of loss of his interest in the contents and with respect to certain matters involving Winslow-Fox, Inc., a corporation. One or more of those actions appears to be still pending on appeal, and apparently none has resulted in any judicial determination that petitioner was defrauded.

In this action petitioner's claimed 1976 loss on the sheriff's sale of his interest in the Tequesta property is bottomed on his theory that the listing of that property by the Foxes, was or at least evidenced, a transaction entered into for profit within the meaning of section 165(c)(2). 3 The transaction was closed on August 17, 1976, according to petitioner's theory, by the deeding of the property by Mrs. Fox to her purchasers. The specific loss arose out of the sheriff's sale. On petitioner's 1976 income tax return the loss on this transaction in the amount of $27,450*556 is reported as taking place on July 22, 1976. The amount reflects one-half of the property's cost in 1972, reduced by the $1,000 paid (by crediting on the execution judgment) at the sheriff's sale. Petitioner's legal authority for his position appears to be a statement in the Commerce Clearing House, Inc. Standard Federal Tax Reporter which reads as follows:

Transactions entered into for profit may consist of many different types of activities. For instance, the sale of property may be a transaction entered into for profit, in which case the loss on sale would be deductible under

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326 U.S. 287 (Supreme Court, 1945)
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Morton v. Commissioner
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Stout v. Commissioner
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Bluebook (online)
1985 T.C. Memo. 82, 49 T.C.M. 801, 1985 Tax Ct. Memo LEXIS 550, Counsel Stack Legal Research, https://law.counselstack.com/opinion/fox-v-commissioner-tax-1985.