Julien v. Commissioner

82 T.C. No. 37, 82 T.C. 492, 1984 U.S. Tax Ct. LEXIS 92
CourtUnited States Tax Court
DecidedMarch 20, 1984
DocketDocket Nos. 24238-81, 26855-81
StatusPublished
Cited by50 cases

This text of 82 T.C. No. 37 (Julien 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
Julien v. Commissioner, 82 T.C. No. 37, 82 T.C. 492, 1984 U.S. Tax Ct. LEXIS 92 (tax 1984).

Opinion

Nims, Judge:

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

Docket No. Petitioners Year Deficiency
24238-81 Jay I. Julien and Ann W. Julien 1973 1974 1975 1976 $6,148 5,671 8,220 3,738
26855-81 Joel Fabiani • and Audree Fabiani 1974 1975 1976 8,692 12,349 163

By amended answer, respondent asserts an increased deficiency in petitioners Joel and Audree Fabiani’s income taxes for the taxable year 1976 in the total amount of $2,974.87.

After concessions, the issues for decision are:

(1) Whether petitioners have substantiated the existence of loans whose proceeds were purportedly used to purchase silver in 1973, 1974, and 1975;

(2) Whether, if the loans existed, they were applied to transactions lacking in economic substance such that no interest on those loans is deductible under section 163(a);1 and

(3) Whether, if the alleged transactions had economic substance, gain realized in the second year of each transaction should be characterized as short-term gain.

FINDINGS OF FACT

Some of the facts have been stipulated. The stipulations and the exhibits attached thereto are incorporated herein by this reference, except as modified, infra.

Petitioners Jay I. Julien (Julien) and Ann W. Julien, husband and wife, and petitioners Joel Fabiani (Fabiani) and Audree Fabiani, husband and wife, resided at New York, N.Y., at the time their respective petitions were filed. Ann W. Julien and Audree Fabiani are parties solely by virtue of having filed joint returns with their respective spouses for the years in question.

Julien is an attorney, theatrical producer, and business manager. Fabiani is an actor and announcer. During the years in issue, Julien acted as Fabiani’s business manager and was responsible for investing Fabiani’s funds. Petitioners are cash basis taxpayers.

Julien began trading in commodity futures for himself and Fabiani with Kroll, Dalon & Co., Inc. (Kroll, Dalon), in 1971. Kroll, Dalon specialized in the trading of commodity futures. Stanley Kroll (Kroll) was the sole owner of Kroll, Dalon from 1971 through 1974. During this period, Ralph Sorrentino (Sorrentino), Kroll, Dalon’s back-office manager, was responsible for executing transactions according to Kroll’s instructions.

Julien and Fabiani allegedly engaged in a series of transactions and loans involving the trading of commodity futures. Documents purporting to verify this trading show Julien entering into three respective series of transactions in 1973-74, 1974-75, and 1975-76. Similarly, Fabiani engaged in two series of transactions in 1974-75 and 1975-76, respectively. Each series of transactions is separately discussed below.

1. 1973-74 Transaction Series

In April 1973, Kroll discussed with Julien the possibility of Julien’s undertaking a set of transactions involving the purchase of a large amount of silver bullion, or "spot”2 silver, in London, England. The entire purchase price of the silver would be borrowed by Julien from or through Kroll, Dalon. Simultaneously, Julien would sell short3 the same quantity of silver for delivery at a specified future date.

Julien proceeded with the plan and subsequently received from Kroll, Dalon confirmation documents describing two trades. The first document, dated July 2, 1973, confirms a purchase by Julien of 140,000 ounces of London spot silver at a total cost of $377,440. The second confirmation, dated July 3,. 1973, shows the short sale by Julien of 140,000 ounces of London silver for July 3, 1974, delivery at a total price of $403,200.

In conjunction with the above transactions, Kroll, Dalon issued to Julien on July 2, 1973, a document entitled "Commodity Margin Call.” The document states that "Commodity margin calls are due on day of trade” and indicates $2,250 as the total amount due.

Over a month later, on August 16, 1973, Julien paid $2,250 to Kroll, Dalon. An August 20, 1973, Kroll, Dalon "Statement of Account” issued to Julien reflects the $2,250 payment.

On December 26, 1973, Julien paid $26,554.40 to Kroll, Dalon. Kroll, Dalon issued a statement of account dated December 28, 1973, stating that an interest payment of $26,554.40 had been received from Julien.

On January 2, 1974, Kroll, Dalon paid Julien $26,500. A statement of account dated January 4, 1974, issued to Julien by Kroll, Dalon lists the amount paid to Julien as a cash disbursement.

In July 1974, Julien received the last documents in connection with the first transaction series. A confirmation document dated July 3,1974, shows the sale of 140,000 ounces of London spot silver at a total price of $586,740. A statement of áccount dated July 3, 1974, shows the purchase of 140,000 ounces of London silver at a total cost of $586,740, thus closing out the short position entered into by Julien on July 3, 1973.

Julien deducted $25,000 as interest expense paid to Kroll, Dalon on his 1973 income tax return.4 On his 1974 income tax return, Julien reported a $208,317 long-term capital gain and a $184,012 short-term capital loss from the transaction series.

Kroll, Dalon did not report any interest income other than interest received on obligations of the United States on its corporate income tax return for its fiscal year ended January 31, 1974.

2. 1974-75 Transaction Series

In 1974 Julien decided to initiate another series of transactions with Kroll, Dalon, similar to those executed in the 1973-74 transaction series. Julien, at Fabiani’s request, also placed identical orders for Fabiani.5

A Kroll, Dalon confirmation document dated May 31, 1974, shows the purchase by Julien of 130,000 ounces of London spot silver at a total cost of $639,600. A second Kroll, Dalon document dated June 3,1974, confirms the short sale by Julien of 130,000 ounces of London silver for June 3,1975, delivery at a total price of $664,820.

A commodity margin call document dated May 31, 1974, again requiring payment on the day of trade, was issued to Julien by Kroll, Dalon in the amount of $2,540. On December 20, 1974, Julien paid Kroll, Dalon $2,540.

On December 27, 1974, Julien paid Kroll, Dalon $26,198.18. A Kroll, Dalon "Daily Activity Statement” dated December 31, 1974, issued to Julien shows the cash receipt of $26,198.18.

On January 2, 1975, Kroll, Dalon paid Julien $26,100. A Kroll, Dalon daily activity statement dated January 2, 1975, issued to Julien shows a cash disbursement of $26,100.

The second transaction series was completed in June 1975. A Kroll, Dalon statement of account dated June 3,1975, issued to Julien shows the sale of 130,000 ounces of London spot silver at a total price of $664,820.

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Bluebook (online)
82 T.C. No. 37, 82 T.C. 492, 1984 U.S. Tax Ct. LEXIS 92, Counsel Stack Legal Research, https://law.counselstack.com/opinion/julien-v-commissioner-tax-1984.