Honodel v. Commissioner

76 T.C. 351, 1981 U.S. Tax Ct. LEXIS 171
CourtUnited States Tax Court
DecidedFebruary 18, 1981
DocketDocket Nos. 3843-78, 3844-78, 3845-78, 4098-78, 4099-78, 4100-78, 4137-78, 4183-78, 4184-78, 4522-79
StatusPublished
Cited by27 cases

This text of 76 T.C. 351 (Honodel 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
Honodel v. Commissioner, 76 T.C. 351, 1981 U.S. Tax Ct. LEXIS 171 (tax 1981).

Opinion

Sterrett, Judge:

In these consolidated cases, respondent determined the following deficiencies in petitioners’ Federal income taxes and additions to tax:

Calendar Docket No. Petitioner year Deficiency Addition to tax under sec. 6653(a)
3843-78 Robert C. Honodel 4522-79 and Claire E. Honodel .1973 $7,314.00
1975 4,090.12
3844r-78 Lawrence E. Thatcher and Helen F. Thatcher .1973 15,669.00
3845-78 Ernest M. Bargmeyer and Janice L. Bargmeyer .1972 17,991.04
1973 14,350.45
4098-78 Conrad J. Knowles and Concetta Knowles .1972 8,501.68
1973 11,465.12
4099-78 Glen L. Momberger and Nanieve G. Momberger .1972 9,872.16
1973 9,102.70
4100-78 R. Duncan Wallace and Patricia F. Wallace .1972 5,349.97
1973 4,150.67
4137-78 Marian J. Haslam and Patricia L. Haslam .1971 1,085.64 $294.67
1972 16,963.08 1,108.01
1973 22,735.77 1,185.71
4183-78 William L. Cimino and Joyce Cimino .1972 8,475.18
1973 5,206.06
4184r-78 Robert D. Briggs and Joan R. Briggs .1972 2,839.13
1973 3,779.47

These cases have been consolidated for the purposes of trial, briefing, and opinion. After concessions, two issues remain for our determination: (1) What are the useful lives for depreciation purposes of the components of certain apartment projects owned by limited partnerships in which petitioners are limited partners, and (2) whether various fees paid by petitioners to Financial Management Service or its successors in interest (hereinafter FMS) are deductible under section 212 or 165(c)(2), I.R.C. 1954.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts together with the exhibits attached thereto are incorporated herein by this reference.

Petitioners Robert C. Honodel and Claire E. Honodel, husband and wife, resided in Missoula, Mont., at the time of the filing of the petitions herein. They filed joint individual income tax returns with the Internal Revenue Service Center at Ogden, Utah, for the calendar years 1973 and 1975.

Petitioners Lawrence E. Thatcher and Helen F. Thatcher, husband and wife, resided in Salt Lake City, Utah, at the time of the filing of the petition herein. They filed a joint individual income tax return with the Internal Revenue Service Center at Ogden, Utah, for the calendar year 1973.

Petitioners Ernest M. Bargmeyer and Janice L. Bargmeyer, husband and wife, resided in Missoula, Mont., at the time of the filing of the petition herein. They filed joint individual income tax returns with the Internal Revenue Service Center at Ogden, Utah, for the calendar years 1972 and 1973.

Petitioners Conrad J. Knowles and Concetta Knowles, husband and wife, resided in Salt Lake City, Utah, at the time of the filing of the petition herein. They filed joint individual income tax returns with the Internal Revenue Service Center at Ogden, Utah, for the calendar years 1972 and 1973.

Petitioners Glenn L. Momberger and Nanieve G. Momberger, husband and wife, resided in Salt Lake City, Utah, at the time of the filing of the petition herein. They filed joint individual income tax returns with the Internal Revenue Service Center at Ogden, Utah, for the taxable years 1972 and 1973.

Petitioners R. Duncan Wallace and Patricia F. Wallace, husband and wife, resided in Salt Lake City, Utah, at the time of the filing of the petition herein. They filed joint individual income tax returns with the Internal Revenue Service Center at Ogden, Utah, for the taxable years 1972 and 1973.

Petitioners Marian J. Haslam and Patricia L. Haslam, husband and wife, resided in Ogden, Utah, at the time of the filing of the petition herein. They filed joint individual income tax returns with the Internal Revenue Service Center at Ogden, Utah, for the taxable years 1971,1972, and 1973.

Petitioners William L. Cimino and Joyce Cimino, husband and wife, resided in Missoula, Mont., at the time of the filing of the petition herein. They filed joint individual income tax returns with the Internal Revenue Service Center at Ogden, Utah, for the taxable years 1972 and 1973.

Petitioners Robert D. Briggs and Joan R. Briggs, husband and wife, resided in Albuquerque, N. Mex., at the time of the filing of the petition herein. They filed joint individual income tax returns with the Internal Revenue Service Center at Ogden, Utah, for the taxable years 1972 and 1973.

Petitioners Claire E. Honodel, Helen F. Thatcher, Janice L. Bargmeyer, Concetta Knowles, Nanieve G. Momberger, Patricia F. Wallace, Patricia L. Haslam, Joyce Cimino, and Joan R. Briggs are parties herein solely by virtue of having filed joint individual income tax returns with their respective husbands for the years at issue.

Petitioners were limited partners in four limited partnerships. The names of the limited partnerships and the petitioners’ respective percentage interests are shown in the following table:

Limited

Partnership partners Percentage
Rancho Fulton .Thatcher .10
Bargmeyer .10
Haslam .10
Rancho Verde A .Bargmeyer .20
Haslam .20
Wallace .20
Rancho Verde B .Knowles .15
Momberger .15
Cimino .15
Briggs .15
College Gardens Utah .Honodel .14.69733
Thatcher . 9.79822

The relevant general partner in each partnership was Spence Clark.

Rancho Fulton (hereinafter Fulton) is a Utah limited partnership which utilizes the cash method of accounting for Federal income tax purposes. Its taxable year is a calendar year. Fulton was formed for the purpose of acquiring, developing, building, and operating a 204-unit apartment complex named Rancho Fulton and located in Sacramento, Calif. On its 1973 Federal partnership income tax return, Fulton claimed a depreciation deduction of $224,991 on the apartment complex. Depreciation was computed on a component basis using useful lives for each component as determined by its general partners.

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Cite This Page — Counsel Stack

Bluebook (online)
76 T.C. 351, 1981 U.S. Tax Ct. LEXIS 171, Counsel Stack Legal Research, https://law.counselstack.com/opinion/honodel-v-commissioner-tax-1981.