Frazier v. Commissioner

1985 T.C. Memo. 61, 49 T.C.M. 715, 1985 Tax Ct. Memo LEXIS 573
CourtUnited States Tax Court
DecidedFebruary 11, 1985
DocketDocket Nos. 25688-81, 2827-82.
StatusUnpublished

This text of 1985 T.C. Memo. 61 (Frazier 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
Frazier v. Commissioner, 1985 T.C. Memo. 61, 49 T.C.M. 715, 1985 Tax Ct. Memo LEXIS 573 (tax 1985).

Opinion

JOSEPH and FLORENCE FRAZIER, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Frazier v. Commissioner
Docket Nos. 25688-81, 2827-82.
United States Tax Court
T.C. Memo 1985-61; 1985 Tax Ct. Memo LEXIS 573; 49 T.C.M. (CCH) 715; T.C.M. (RIA) 85061;
February 11, 1985.
Bruce R. Wright, for the petitioners.
Russell K. Stewart, for the respondent.

SWIFT

*715 MEMORANDUM FINDINGS OF FACT AND OPINION

SWIFT, Judge: By statutory notices of deficiency*575 dated July 15, 1981 (for 1971 through 1975), and November 17, 1981 (for 1976), respondent determined deficiencies in petitioners' Federal income tax liabilities as follows:

YearDeficiency
1971$13,978
197232,439
197316,808
197449,071
197526,671
197614,199

*2 After concessions, the only issue for decision is whether petitioners operated their farm as an "activity * * * not engaged in for profit" within the meaning of section 183. 1

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. Petitioners Joseph and Florence Frazier are husband and wife and resided in Lafayette Hills, Pennsylvania, at the time the petitions herein were filed. Petitioners timely filed their Federal income tax returns on a joint return basis for each of the years in issue. Joseph Frazier will hereinafter be referred to as "petitioner."

In the late 1960's and early 1970's, petitioner was a well-known professional boxer. Petitioner's career reached its pinnacle in 1971 when, as*576 World Boxing Association heavyweight champion, he successfully defended his title against Muhammed Ali in what was advertised as "the fight of the century." Petitioner earned from that fight alone approximately $2 million gross. As a result of his boxing success, petitioner rose from a background of poverty to become a wealthy man.

Petitioner was the youngest of Dolly and Ruben Frazier's nine children. The family was raised on a 10-acre farm in rural Laurel Bay, South Carolina. The 10 acres were acquired by petitioner's ancestors from a post-civil war reconstruction grant of land to former slaves. The three-bedroom house on the farm *3 was the home of the entire Frazier family and often an additional relative or two lived in the house. The house had neither running water nor indoor bathroom facilities.

Petitioner's parents supported themselves and their family by farming the 10-acre Laurel Bay property. The family members also earned money by hiring themselves out as farm hands to the other farms and plantation properties in the vicinity of Laurel Bay. In particular, petitioner's mother, Dolly Frazier, has supported her immediate family by farming throughout her entire*577 adult life. Petitioner's ancestors also farmed the Laurel Bay property.

Petitioner and educated through the ninth grade and spent much of his youth as a paid field-hand on neighboring farms. At age 15, petitioner left South Carolina for New York, and later Pennsylvania, with dreams of a successful boxing career. Having realized those dreams in 1971, petitioner desired to provide a means whereby he, his 64-year-old mother, and other members of his family could become more prosperous by farming a larger and better parcel of property. To this end, petitioner purchased a large farm property known as the "Brewton Plantation" in July, 1971.

Brewton Plantation (hereinafter sometimes referred to as the "Brewton farm" or the "Brewton property") was a 365-acre farm located approximately 20 miles west of Beaufort, South Carolina, and approximately 15 miles from the 10-acre Laurel Bay farm owned by petitioner's family. The brewton farm was located within the *4 same general farming community in which petitioner, his mother, and other family members had worked as farm hands for many years. The Brewton farm, as purchased by petitioner is 1971, consisted of 165 tillable acres, 20 acres*578 of swampland, four houses and other barns or outbuildings.Petitioner paid $175,000 for the property. Prior to the purchase, petitioner was familiar with farms in the vicinity of the Brewton property as a result of his earlier work in that area. Although petitioner did not personally revisit and inspect the Brewton farm immediately prior to the purchase, his attorney did so at petitioner's request and expense. Before purchasing the farm, petitioner did not commission soil studies to be conducted, nor did he or his attorney consult with farm experts specifically to determine from them whether the Brewton farm could be operated profitably.

The Brewton farm was in a state of general disrepair when petitioner purchased it in 1971, and apparently its buildings had not been occupied for several years. The farm's previous owner had leased approximately 100 acres of the property to a tenant farmer, Simon Jinks, from 1968 through 1970. Mr.

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Bluebook (online)
1985 T.C. Memo. 61, 49 T.C.M. 715, 1985 Tax Ct. Memo LEXIS 573, Counsel Stack Legal Research, https://law.counselstack.com/opinion/frazier-v-commissioner-tax-1985.