Jafarpour v. Comm'r

2012 T.C. Memo. 165, 103 T.C.M. 1880, 2012 Tax Ct. Memo LEXIS 165
CourtUnited States Tax Court
DecidedJune 12, 2012
DocketDocket No. 3717-10
StatusUnpublished
Cited by12 cases

This text of 2012 T.C. Memo. 165 (Jafarpour v. Comm'r) 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
Jafarpour v. Comm'r, 2012 T.C. Memo. 165, 103 T.C.M. 1880, 2012 Tax Ct. Memo LEXIS 165 (tax 2012).

Opinion

AMIR H. JAFARPOUR AND LECIA R. PRANG, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Jafarpour v. Comm'r
Docket No. 3717-10
United States Tax Court
T.C. Memo 2012-165; 2012 Tax Ct. Memo LEXIS 165; 103 T.C.M. (CCH) 1880;
June 12, 2012, Filed
*165

Decision will be entered for respondent as to the deficiency and for petitioners as to the accuracy-related penalty.

Amir H. Jafarpour and Lecia R. Prang, Pro se.
Nicholas D. Doukas, for respondent.
GOEKE, Judge.

GOEKE
MEMORANDUM FINDINGS OF FACT AND OPINION

GOEKE, Judge: Respondent determined a deficiency of $92,280 in petitioners' 2006 Federal income tax. The issues remaining 1 for decision are: (1) whether petitioners are entitled to a bonus depreciation deduction under section 1400N(d)2 for real properties purchased during 2006; and (2) whether petitioners' real estate losses are passive activity losses under section 469. For the reasons stated herein, we find that petitioners are not entitled to a bonus depreciation deduction under section 1400N(d). 3*166 Moreover, we find that petitioners' real estate losses are passive activity losses and therefore are not deductible against their 2006 active income.

FINDINGS OF FACT

Some of the facts are stipulated and are so found. The stipulation of facts and the attached exhibits are incorporated herein by this reference. Petitioners resided in California at the time their petition was filed.

Mr. Jafarpour began working full time for AMD/Spansion LLC (AMD) in 1989 and continued to work there full time as a computer engineer in 2006. In January 2006 petitioners sold stock options in AMD, receiving $169,621 in taxable income. Mr. Jafarpour concedes he was *167 not a real estate professional during 2006. Ms. Prang began working as a chiropractor in 1989 and started her own chiropractic business in 1993. In 2001 she suffered a work-related injury requiring surgery and causing ongoing neck and shoulder pain. Thereafter, Ms. Prang decided to sell her chiropractic business and pursue a new career. Ms. Prang found a buyer in 2005 and sold her chiropractic business on June 30, 2006.

Ms. Prang continued her chiropractic business until at least the June 30 sale closing. Petitioners submitted Ms. Prang's appointment book (appointment book) from her chiropractic business to show that she spent no more than 390 hours working as a chiropractor in 2006. 4 The appointment book is approximately 120 pages. Each page lists three days and each day has space designated for scheduling appointments in 15-minute intervals from 8 a.m. through 5 p.m. Names, phone numbers, and miscellaneous notes are handwritten in the spaces representing the 15-minute intervals. Moreover, at the bottom of each daily section a number is written (daily total) that appears to represent either the number of patients seen that day or the number of hours worked that day. 5 Finally, the *168 notes written in the 15-minute interval spaces and the numbers written for the daily total are frequently illegible.

I. Ms. Prang's Real Estate Activities

Petitioners owned one rental property at the beginning of 2006—their prior residence in Milpitas, California (Milpitas property). They rented the Milpitas property to four different tenants from 1996 until 2006. The same tenant has rented the Milpitas property since 2002, paying $1,500 per month for rent during 2006.

Ms. Prang eventually decided to expand her involvement with real estate. She began researching potential real estate investments in early January 2006 around the same time petitioners exercised their stock options in AMD. Most of her research consisted of online browsing followed by email exchanges and phone conversations with various realtors. *169 Ms. Prang reports that she spent over 300 hours conducting online research for real estate in numerous areas, including California, Arizona, South Carolina, Florida, Colorado, and Nevada. Ms. Prang made one trip to Las Vegas in July 2006, but she did not purchase real estate in any of these areas.

A. Classes and Seminars

In June 2006 Ms. Prang attended a Las Positas Community College course on investing in real estate. The community college instructor recommended that Ms. Prang invest in properties costing $200,000 or less that were in areas where growth and appreciation were expected. The instructor also recommended that she either rent or sell the properties, depending on the market. The instructor also informed Ms. Prang of the importance of keeping records of her time working in real estate and introduced her to the idea of investing in properties located in the Gulf Opportunity Zone (GO Zone). 6

Ms. Prang *170 also attended seminars on investing in real estate. On July 24, 2006, she attended a real estate seminar in Fremont, California (Fremont seminar).

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Cite This Page — Counsel Stack

Bluebook (online)
2012 T.C. Memo. 165, 103 T.C.M. 1880, 2012 Tax Ct. Memo LEXIS 165, Counsel Stack Legal Research, https://law.counselstack.com/opinion/jafarpour-v-commr-tax-2012.