Houchins v. Commissioner

79 T.C. No. 37, 79 T.C. 570, 1982 U.S. Tax Ct. LEXIS 33
CourtUnited States Tax Court
DecidedSeptember 29, 1982
DocketDocket No. 8890-79
StatusPublished
Cited by73 cases

This text of 79 T.C. No. 37 (Houchins 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
Houchins v. Commissioner, 79 T.C. No. 37, 79 T.C. 570, 1982 U.S. Tax Ct. LEXIS 33 (tax 1982).

Opinion

Wiles, Judge:

Respondent determined the following deficiencies in petitioners’ Federal income taxes:

Year Deficiency
1975 .$8,431
1976 . 6,498
1977 . 5,079

The issue for decision is whether petitioners are entitled to miscellaneous deductions claimed in connection with an investment in a cattle-breeding program.

FINDINGS OF FACT

Some of the facts have been stipulated and are found accordingly.

Marion O. Houchins (hereinafter petitioner) and June A. Houchins, husband and wife, resided in Orlando, Fla., when they filed their 1975, 1976, and 1977 joint Federal income tax returns with the Office of the Director, Southeast Internal Revenue Service Center, Chamblee, Ga., and when they filed their petition in this case.

Investment in Simmental Cattle-Breeding Program

From 1944 through 1971, petitioner served in the U.S. Army and Air Force. He retired in May 1971. In September 1970, approximately 9 months prior to his retirement, petitioner began a used car business in Orlando, Fla., under the name "Action Motors.” From 1971 through 1974, both petitioner and his wife devoted their full time to the used car business, developing it into a very profitable venture. In 1974, petitioner made a $35,000 profit from the used car business,1 and he expected his income therefrom to increase. In 1975, petitioner acquired a new car franchise from Datsun. He operated the Datsun dealership from a separate location in Kissimmee, Fla., using the name "Action Datsun.” The Datsun dealership has been very successful.

Petitioner developed his interest in cattle breeding at an automobile auction in 1974. During the course of the day, he had lunch with Dave Dawson, a friend and the general manager of a Toyota dealership, and they both boasted about their success in the automobile business. At that time, Mr. Dawson told petitioner about his investment in a Charoláis cattle-breeding program in Fort Myers, Fla., and they discussed the tax benefits available from such an investment. Thereafter, petitioner contacted the promoters of the Charo-láis cattle-breeding program and considered making an investment therein. Prior to this time, petitioner had absolutely no experience with respect to raising or breeding cattle.

In the meantime, petitioner mentioned the Charoláis cattle-breeding program to his insurance broker, Charles Skinner, and Mr. Skinner told him that he should consider investing in a local Simmental cattle-breeding program marketed by Florida Simmental Farms, Inc. (hereinafter FSF), and Simmental Management Services, Inc. (hereinafter SMS). Mr. Skinner was not financially involved in the Simmental cattle-breeding program, but was a friend of one of the promoters’, Bryan W. Judge. Mr. Skinner arranged for petitioner and his bookkeeper to have lunch with Mr. Judge, at which time Mr. Judge explained the basics of his breeding program to petitioner. During a subsequent meeting, Mr. Judge explained the breeding program in greater detail, gave petitioner some literature regarding Simmental cattle, and showed him a brochure projecting the consequences of an investment in the breeding program (hereinafter referred to as the projection). The literature given to petitioner included a pamphlet entitled "Florida Simmental Farms Presents Cattle Management Service,” published to promote the breeding program, and a magazine entitled "The Simmental Story,” published by the American Simmental Association (hereinafter ASA). The magazine published by the ASA discussed the different types of Simmental cattle and the background and characteristics of the breed. Petitioner was also shown periodicals which listed the prices of Simmental cattle sold at auction in the United States and Canada. Most of the cattle were selling for prices of approximately $1,000.

The principal individuals behind the breeding program marketed by FSF and SMS were Mr. Judge and Gene Folck, both of whom had been involved in the cattle industry for many years. Mr. Judge was the president of both FSF and SMS. The projection had been prepared to promote the breeding program. It assumed a purchase of four bred one-half-Simmental-blood cows for $40,000. FSF would finance the entire purchase price, and SMS would maintain, manage, and breed the herd for 6 consecutive years under a fee schedule provided in the projection. The projection set forth the chart on page 574 summarizing the consequences of an investment in the breeding program.

For the end of each year of the program, the projection set forth the following estimates of herd value:

1st Year: 4 X $2,500 = $10,000 2d Year: 4 x 2,500 = 10,000

- 2 X 4,000 = 8,000

18,000

4th Year: 4 X 2,500 = 10,000 3d Year: 4 X 2,500 = 10,000

2 X 4,000 = 8,000 2 X 4,000 = 8,000

4 X 7,500 = 30,000 2 X 7,500 = 15,000

1 X 10,000 = 10,000 33,000

58,000

[[Image here]]

5th Year: 4 X $2,500 =$10,000 6th Year: 4 X 2,500 =$10,000
2 x 4,000 8,000 4,000 X 8,000
6 X 7,500 45,000 7,500 X 60,000
2 X 10,000 20,000 10,000 X 30,000
1 X 12,500 12.500 12,500 X 37,500
95.500 X 20,000 = 20,000
165,500

The above estimates of herd value were based upon the following value and growth projections:

Type of animal1 Simmental blood Value
Bred cow (Br.) % $2,500
Open cow (Op.) % 4,000
Br. % 7,500
Op. 7/s 10,000
Br. 7/s 12,500
Op. Pure 20,000
Estimated HeRD Growth
Type of Animal
Year 5? £ o o S Si? to ■n ^5? ta ri O X "Q
1st Tji •>#
2d CO <N
3d 00 to (N Tt<
4th H H <N Tí
5th lO H 05 IN T*
6th H Cd 00 <N T*

The projection stated that the estimates of herd value and growth were calculated (1) without considering mortality factors; (2) assuming a reproduction rate of 100 percent (50-percent male and 50-percent female); and (3) using conservative market values from 1972,1973, and 1974.

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Bluebook (online)
79 T.C. No. 37, 79 T.C. 570, 1982 U.S. Tax Ct. LEXIS 33, Counsel Stack Legal Research, https://law.counselstack.com/opinion/houchins-v-commissioner-tax-1982.