Gladstone v. Commissioner

1990 T.C. Memo. 173, 59 T.C.M. 303, 1990 Tax Ct. Memo LEXIS 199
CourtUnited States Tax Court
DecidedMarch 29, 1990
DocketDocket No. 36942-84
StatusUnpublished
Cited by1 cases

This text of 1990 T.C. Memo. 173 (Gladstone 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
Gladstone v. Commissioner, 1990 T.C. Memo. 173, 59 T.C.M. 303, 1990 Tax Ct. Memo LEXIS 199 (tax 1990).

Opinion

WILLIAM B. GLADSTONE AND ROSLYN GLADSTONE, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Gladstone v. Commissioner
Docket No. 36942-84
United States Tax Court
T.C. Memo 1990-173; 1990 Tax Ct. Memo LEXIS 199; 59 T.C.M. (CCH) 303; T.C.M. (RIA) 90173;
March 29, 1990
Larry Kars, for the petitioners.
Jill A. Frisch, for the respondent.

WELLS

MEMORANDUM FINDINGS OF FACT AND OPINION

WELLS, Judge: Respondent determined a deficiency in petitioners' Federal income tax in the amount of $ 149,941 for the taxable year 1981.

After settlement of other issues by the parties, the issues remaining for the Court to decide are: (1) whether certain debts with respect to which petitioners claimed a bad debt deduction are bona fide; (2) whether such debts became*200 worthless in taxable year 1981, and (3) whether such debts are proximately related to any trade or business of petitioner.

FINDINGS OF FACT

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

Petitioners resided at Delray Beach, Florida, at the time the petition was filed.

Petitioner William B. Gladstone ("petitioner") is an attorney. Petitioner's 1981 income tax return included two Schedules C. One Schedule C listed the main business activity as "producer" and the product as "oil and gas." The other Schedule C listed the main business activity as "financial services" ("the financial service Schedule C"). The financial service Schedule C filed by petitioner stated the business name as "William B. Gladstone," the address as "4250 D'Este Ct., Lake Worth, Fl. 33463," and the accounting method as "cash," and claimed a bad debt deduction in the amount of $ 150,356.

The financial service Schedule C reflected the following income and deductions:

INCOME
Gross receipts or sales$  25,884 
Cost of goods sold or operations- 0 - 
Total Income$  25,884 
DEDUCTIONS
Bad debts from sales or services$ 150,356 
Dues and publications362 
Insurance634 
Interest on business indebtedness846 
Legal and professional services33,624 
Office supplies and postage70 
Supplies49 
Travel and entertainment6,843 
Utilities and telephone1,922 
Total Deductions$ 194,706 
NET PROFIT OR (LOSS)($ 168,822)

*201 Petitioner used a business card during taxable years 1979 and 1981 that indicated his address was 196 Hemlock Road, Manhasset, New York, and included his telephone numbers in New York City and Manhasset.

In 1972, the Virgin Island Refinery Corporation ("VIRCO") was organized for the purpose of constructing and operating a modern, efficient, and environmentally sound clean petroleum refinery. Gideon Hadary ("Mr. Hadary") was the president of VIRCO.

Petitioner was introduced to J. Ross Ziff ("Mr. Ziff" ) by petitioner's business acquaintance, Don Moody ("Mr. Moody"). Mr. Ziff was involved with VIRCO, and petitioner became interested in investing in VIRCO with Mr. Ziff. Consequently, petitioner and Mr. Ziff decided to buy 500 shares of VIRCO stock for $ 250,000. Petitioner and Mr. Ziff were to each purchase 250 shares and petitioner was to lend $ 125,000 to Mr. Ziff for the purpose of purchasing his shares. Mr. Ziff's shares were to serve as collateral for the $ 125,000 loan.

On October 2, 1979, in order to purchase the VIRCO stock, petitioner transferred $ 250,000 from his account at Liberty National Bank by wire transfer to the account of Mr. Ziff at Riggs National Bank*202 in Washington, D.C. On October 9, 1979, 500 shares of the stock of VIRCO were issued to Mr. Ziff, 250 of such shares as nominee for petitioner.

Subsequently, by check dated December 6, 1979, petitioner lent Mr. Ziff another $ 25,000 for use in obtaining crude oil for the VIRCO refinery. The loans to Mr. Ziff for $ 125,000 and $ 25,000 hereinafter collectively are referred to as the "loans." 1

Petitioner did not perform a record search with respect to Mr. Ziff prior to making the loans to him in 1979. Prior to making the loans, petitioner did not ask for a financial statement from Mr. Ziff, ascertain whether he owned his home, or request to view copies of his tax returns. Mr. Moody, however, told petitioner that Mr. Ziff was "very affluent, very rich" and that he had a home in Palm Beach.

On December 31, 1981, Mr. Ziff signed a "confession of judgment" 2 in the amount of $ 150,000 plus interest.

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Bluebook (online)
1990 T.C. Memo. 173, 59 T.C.M. 303, 1990 Tax Ct. Memo LEXIS 199, Counsel Stack Legal Research, https://law.counselstack.com/opinion/gladstone-v-commissioner-tax-1990.