Loveland v. Comm'r

2009 T.C. Memo. 98, 97 T.C.M. 1509, 2009 Tax Ct. Memo LEXIS 99
CourtUnited States Tax Court
DecidedMay 14, 2009
DocketNo. 17980-05
StatusUnpublished

This text of 2009 T.C. Memo. 98 (Loveland 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
Loveland v. Comm'r, 2009 T.C. Memo. 98, 97 T.C.M. 1509, 2009 Tax Ct. Memo LEXIS 99 (tax 2009).

Opinion

MATTHEW P. LOVELAND AND KELLIE J. LOVELAND-MAGNUSON, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Loveland v. Comm'r
No. 17980-05
United States Tax Court
T.C. Memo 2009-98; 2009 Tax Ct. Memo LEXIS 99; 97 T.C.M. (CCH) 1509;
May 14, 2009., Filed
*99
Matthew P. Loveland and Kellie J. Loveland-Magnuson, Pro sese.
Catherine S. Tyson, for respondent.
Marvel, L. Paige

PAIGE L. MARVEL

MEMORANDUM FINDINGS OF FACT AND OPINION

MARVEL, Judge: Respondent determined deficiencies with respect to petitioners' Federal income tax of $ 13,310.40 for 2000, $ 3,750 for 2001, and $ 2,418 for 2002. The issues for decision are: (1) Whether petitioners are entitled to certain deductions relating to a pay phone activity reported on their Schedules C, Profit or Loss From Business, of their Forms 1040, U.S. Individual Income Tax Return, for 2000 and 2001; (2) whether petitioners are entitled to certain deductions reported on their Schedule C relating to a Mary Kay cosmetics activity for 2002; (3) whether certain income reported on petitioners' 2000 and 2002 Schedules C should be reclassified as other income; and (4) whether petitioners are entitled to carry forward and claim in 2002 a disability access credit under section 44. 1

FINDINGS OF FACT

The parties have stipulated some of the facts, which we incorporate in our findings by this reference. *100 Petitioners resided in Missouri when the petition was filed. 2

Background

In 1999 Kellie J. Loveland-Magnuson (Ms. Magnuson) inherited from her father, Thomas Doherty (Mr. Doherty), an interest in an Alpha Telcom, Inc. (Alpha Telcom), program involving pay phones. After receiving proceeds from the Alpha Telcom pay phones, Ms. Magnuson requested information about the pay phones from Owen Snyder (Mr. Snyder), Mr. Doherty's and petitioners' income tax preparer, and Mr. Snyder answered her questions about the pay phones. Ms. Magnuson decided to invest in additional Alpha Telcom pay phones.

On August 9, 1999, Ms. Magnuson entered into an agreement with Alpha Telcom entitled "Telephone Equipment Purchase Agreement" (purchase agreement) to purchase 3 three additional pay phones for $ 5,000 each, and she remitted a $ 15,000 payment to Alpha Telcom. Alpha Telcom or ATC, Inc., Alpha Telcom's subsidiary, was responsible for finding sites for and installing the pay phones. The purchase agreement included an attachment entitled "Telephone Equipment List"; but when Ms. Manguson signed the agreement, *101 the attachment did not identify the pay phones she was purchasing. The purchase agreement stated that the "Phones have approved installation under The [Americans] with Disabilities Act."

On the same day, Ms. Magnuson entered into a 3-year "Telephone ?Services Agreement" with Alpha Telcom (services agreement). Under the services agreement, Alpha Telcom was responsible for collecting monthly revenue generated by the pay phones, paying commissions and fees to vendors, repairing and maintaining the pay phones, and making necessary capital improvements. In exchange, Alpha Telcom was entitled to 70 percent of the monthly adjusted gross revenue from the pay phones. However, if the monthly adjusted gross revenue did not exceed $ 58.34, Ms. Magnuson would be entitled to all of the adjusted gross revenue and would owe Alpha Telcom no monthly fee. In addition, Alpha Telcom promised to pay Ms. Magnuson a monthly base amount of at least $ 58.34 per pay phone.

The services agreement included an attachment entitled "Buy *102 Back Election" wherein Alpha Telcom agreed to buy back the pay phones for a fixed price stated in the agreement. After 36 months Alpha Telcom would buy back any pay phone for the full purchase price.

On August 24, 2001, Alpha Telcom filed for bankruptcy under chapter 11 of the Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of Florida. See Arevalo v. Commissioner, 124 T.C. 244, 249 (2005), affd. 469 F.3d 436 (5th Cir. 2006). The case was later transferred to the U.S. Bankruptcy Court for the District of Oregon. Id. On September 10, 2003, the bankruptcy case was dismissed pursuant to a motion of Alpha Telcom. Id. The bankruptcy court held that it was "'in the best interest of creditors and the estate to dismiss so that proceedings could continue in federal district court, where there was a pending receivership involving debtors.'" Id. Ms. Magnuson did not take possession of the pay phones after the bankruptcy, and she does not know what happened to them.

In 2001 the Securities and Exchange Commission (SEC) brought a civil enforcement action against Alpha Telcom in the U.S. District Court for the District of Oregon. Id.The District Court held that the Alpha Telcom *103 pay phone program investment contract was actually a security and that Alpha Telcom violated Federal law by not registering the program with the SEC. Id.;SEC v. Alpha Telcom, Inc.,

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Related

Arevalo v. Commissioner
469 F.3d 436 (Fifth Circuit, 2006)
Frank Lyon Co. v. United States
435 U.S. 561 (Supreme Court, 1978)
Commissioner v. Groetzinger
480 U.S. 23 (Supreme Court, 1987)
Securities & Exchange Commission v. Alpha Telcom, Inc.
187 F. Supp. 2d 1250 (D. Oregon, 2002)
Sita v. Commissioner
313 F. App'x 885 (Seventh Circuit, 2009)
Arevalo v. Comm'r
124 T.C. No. 15 (U.S. Tax Court, 2005)
Grodt & McKay Realty, Inc. v. Commissioner
77 T.C. 1221 (U.S. Tax Court, 1981)

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Bluebook (online)
2009 T.C. Memo. 98, 97 T.C.M. 1509, 2009 Tax Ct. Memo LEXIS 99, Counsel Stack Legal Research, https://law.counselstack.com/opinion/loveland-v-commr-tax-2009.