LENEHAN v. COMMISSIONER

2002 T.C. Summary Opinion 124, 2002 Tax Ct. Summary LEXIS 126
CourtUnited States Tax Court
DecidedOctober 2, 2002
DocketNo. 2653-01S
StatusUnpublished

This text of 2002 T.C. Summary Opinion 124 (LENEHAN 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
LENEHAN v. COMMISSIONER, 2002 T.C. Summary Opinion 124, 2002 Tax Ct. Summary LEXIS 126 (tax 2002).

Opinion

WILLIAM LENEHAN III AND BARBARA LENEHAN, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
LENEHAN v. COMMISSIONER
No. 2653-01S
United States Tax Court
T.C. Summary Opinion 2002-124; 2002 Tax Ct. Summary LEXIS 126;
October 2, 2002, Filed

*126 PURSUANT TO INTERNAL REVENUE CODE SECTION 7463(b), THIS OPINION MAY NOT BE TREATED AS PRECEDENT FOR ANY OTHER CASE.

Andrew Shabshelowitz, for petitioners.
Christine Colley, for respondent.
Armen, Robert N., Jr.

Armen, Robert N., Jr.

ARMEN, Special Trial Judge: This case was heard pursuant to the provisions of section 7463 of the Internal Revenue Code in effect at the time that the petition was filed.1 The decision to be entered is not reviewable by any other court, and this opinion should not be cited as authority.

Respondent determined a deficiency in petitioners' Federal income tax for 1997 in the amount of $ 6,062.

The only issue for decision is whether investment income, as defined by section 163(d)(4)(B), includes a long-term capital*127 loss carryover (loss carryover) for purposes of calculating the section 163(d)(1) limitation on the investment interest expense deduction. We hold that it does.

Background

This case was submitted fully stipulated under Rule 122. We incorporate by reference the parties' stipulation of facts and accompanying exhibits.

Petitioners resided in Sarasota, Florida, at the time their petition was filed with the Court.

A. Petitioners' Form 1040 for 1997

Petitioners timely filed a joint Form 1040, U.S. Individual Income Tax Return, for 1997. Petitioners attached to their Form 1040 the following Schedules and Forms that are pertinent to this case: Schedule A, Itemized Deductions; Schedule B, Interest and Dividend Income; Schedule D, Capital Gains and Losses; Form 4797, Sales of Business Property; and Form 4952, Investment Interest Expense Deduction.

On Schedule A, petitioners claimed, inter alia, a $ 26,721 investment interest expense deduction. Petitioners calculated this amount on Form 4952, as shown below:

   Part I. Total Investment Interest Expense

   Line 1. Investment interest expense

      paid or accrued in 1997             *128   $ 2,505

   Line 2. Disallowed investment interest

      expense from 1996 Form 4952, line 7         24,216

   Line 3. Total investment interest expense          26,721

                                ______

   Part II. Net Investment Income

   Line 4a. Gross income from property held for

      investment (excluding any net gain from the

      disposition of property held for investment)   [1] 5,044

   Line 4b. Net gain from the disposition

      of property held for investment    $ 114,738

   Line 4c. Net capital gain from the

      disposition of property held for

      investment                65,721

   Line 4d. Subtract line 4c from line 4b           49,017

   Line 4e. Enter all or part of the amount

      on line 4c that you elect to include

      in investment income                    0

      *129                           ______

   Line 4f. Investment Income.

      Add lines 4a, 4d, and 4e.               54,061

   Line 5. Investment expenses                   0

   Line 6. Net investment income.

      Subtract line 5 from line 4f.             54,061

   Part III. Investment Interest Expense Deduction

   Line 7. Disallowed investment interest

      expense to be carried forward to 1998.

      Subtract line 6 from line 3.                0

   Line 8. Investment interest expense deduction .

      Enter the smaller of line 3 or 6.           26,721

             *130                    ______

               FOOTNOTE

   [1] This is the total amount of petitioners' interest ($  1,075)

and dividend ($  3,969) income reported on Schedule B.

              END OF FOOTNOTE

[8] Petitioners calculated most of the lines on Form 4952 from Schedule D, column f, where they reported the following amounts:

   Line 1. Short-term capital gains and losses     $ 4,002

   Line 2. Enter your short-term totals,

      if any, from Schedule D-1, line 2       45,015

   Line 7. Net short-term capital gain or (loss)      $ 49,017

   Line 8. Long-term capital gains and losses      (3,601)

   Line 9. Enter your long-term totals,

      if any, from Schedule D-1, line 9       69,322

   Line 11. Gain from Form 4797, Part I * * *    [1] 12,751

   Line 14. Long-term capital loss carryover     (141,621)

   Line 16. Net long-term capital gain or (loss)       (63,149)

            *131    FOOTNOTE

   [1] This gain resulted from petitioners' sale of a condominium

that was sec. 1250 property and, therefore, was not included as an

item of investment income. See sec. 163(d)(4)(D).

[9] Petitioners also reported an overall capital loss of $ 14,132 as follows:

   Net long-term capital loss             ($  63,149)

   Net short-term capital gain              49,017

   Overall capital loss               [1] (14,132)

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