Goodfriend v. Commissioner

1986 T.C. Memo. 519, 52 T.C.M. 845, 1986 Tax Ct. Memo LEXIS 94
CourtUnited States Tax Court
DecidedOctober 20, 1986
DocketDocket Nos. 21093-83, 23294-84.
StatusUnpublished

This text of 1986 T.C. Memo. 519 (Goodfriend 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
Goodfriend v. Commissioner, 1986 T.C. Memo. 519, 52 T.C.M. 845, 1986 Tax Ct. Memo LEXIS 94 (tax 1986).

Opinion

MARVIN GOODFRIEND and LAURA GOODFRIEND, Petitioners, v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Goodfriend v. Commissioner
Docket Nos. 21093-83, 23294-84.
United States Tax Court
T.C. Memo 1986-519; 1986 Tax Ct. Memo LEXIS 94; 52 T.C.M. (CCH) 845; T.C.M. (RIA) 86519;
October 20, 1986.
Sharon Burton Haberfeld, for the petitioners.
Elaine T. Fuller, for the respondent.

COHEN

MEMORANDUM FINDINGS OF FACT AND OPINION

COHEN, Judge: In these consolidated cases, respondent determined the following deficiencies in petitioners' Federal income taxes:

Docket No.YearDeficiency
21093-831979$12,261
23294-84198074,201 

After concessions by both parties, 1 the issue for decision is whether petitioners are entitled to any or all of their claimed casualty loss deduction in 1980.

*95 FINDINGS OF FACT

Petitioners Marvin Goodfriend (petitioner) and Laura Goodfriend resided in Malibu, California, and Santa Monica, California, respectively, at the time their petitions were filed. Petitioners filed 1979 and 1980 joint Federal income tax returns. On their 1980 return, petitioners claimed a casualty loss deduction of $135,796 with regard to their residence. That amount was calculated on the return as follows:

Decrease in fair market value$135,000 
Limitation(100)
Appraisal fees896 
$135,796 

Respondent disallowed the entire amount of the claimed loss.

During the years in issue, petitioners resided at 3925 Malibu Vista Drive, Malibu, California. Petitioners purchased the residence in March 1977 for $220,000. The residence is on an irregularly shaped corner lot of approximately one-half an acre, or 24,120 square feet, situated on the nose formed by the high coastal bluffs and the south wall of the Topanga Canyon. The front of the lot is a level pad area containing the house (approximately 2,100 square feet), a swimming pool, and a patio.The backyard, from which one may view the Pacific Ocean to the south, gently slopes downward*96 from the house. At or near the rear of the lot, the slope of the land is at a very steep grade down to the Pacific Coast Highway. The southern slope of the coastal bluff, below petitioners' property, has been in a weakened condition for many years, subject to occasional substantial landslides.

In February 1980, petitioner discovered a fissure or crack across the south/southeastern corner of the backyard. The soil on the ocean side of the fissure had settled several inches below the soil on the house side of the fissure. The fissure and soil settlement were caused by an unusually heavy and prolonged rainfall and resulting buildup of ground water levels. The settlement area on petitioners' property encompassed approximately 3,000 square feet or about 30 percent of petitioners' backyard. The fissure was approximately 350 to 400 feet long and extended across the property of some of petitioners' neighbors to the east, including the residence at 3929 Malibu Vista Drive (the 3929 residence), which was adjacent to petitioners' residence. The settlement area on the 3929 residence encompassed approximately 13,000 square foot or about 80 percent of its backyard.

Petitioners did not repair*97 the damaged area of their property. At the time of trial in December 1985, the damaged area was essentially unchanged from its condition in 1980.

A Gulf Oil Company service station was located below petitioners' property at the corner of Topanga Canyon Boulevard and Pacific Coast Highway. In April and September 1980, Gulf Oil Company caused the preparation of geological diagrams of the immediate area, which reflected fissures on petitioners' property.

Geologists/Engineers

Respondent's expert witness, Robert L. Hamilton (Hamilton), earned a B.S. in Mining Engineering, Geology Option, from the Texas College of Mines and Metallurgy and was, at the time of trial, employed by the Internal Revenue Service (IRS) as a mining engineer. Hamilton's experience included positions with numerous firms, many of which employed him as a geologist and most of which related to mining. Hamilton prepared an Engineer Memorandum Report dated August 6, 1985, in which he suggested that petitioners' claimed casualty loss deduction was not justified.

In Hamilton's opinion, the failure on petitioners' property was "restricted to the fill (the gravels)," and the gravels were probably sliding*98 along the top of bedrock. He stated that to the east of petitioners' property was an area of major sliding and that the surface soil area in petitioners' property was simply moving into the slide area. To stabilize the movement area, Hamilton noted, would probably cost more than the value of the property.

At the time of trial, Bob Kirby (Kirby), respondent's other expert witness, was employed by the IRS as a general engineer. Kirby received a B.S.

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Cite This Page — Counsel Stack

Bluebook (online)
1986 T.C. Memo. 519, 52 T.C.M. 845, 1986 Tax Ct. Memo LEXIS 94, Counsel Stack Legal Research, https://law.counselstack.com/opinion/goodfriend-v-commissioner-tax-1986.