Lowenthal v. Commissioner

1968 T.C. Memo. 79, 27 T.C.M. 387, 1968 Tax Ct. Memo LEXIS 221
United States Tax Court·Decided April 30, 1968·No. Docket No. 5375-66.·Unpublished·Cited by 2 cases

Opinion

Jean A. Lowenthal v. Commissioner.
Lowenthal v. Commissioner
Docket No. 5375-66.
United States Tax Court
T.C. Memo 1968-79; 1968 Tax Ct. Memo LEXIS 221; 27 T.C.M. (CCH) 387; T.C.M. (RIA) 68079;
April 30, 1968. filed

*221 Held, petitioner has established (1) that he operated his farm in the taxable year 1963 as a trade or business with a genuine intention of making a profit, and (2) that he sustained a deductible loss from such operation in the amount of $4,626.08.

Shale D. Stiller, and Arnold E. Kaufman, 1508 First Nat'l Bank Bldg., Baltimore, Md., for the petitioner. William Morris, for the respondent.

ARUNDELL

Memorandum Findings of Fact and Opinion

ARUNDELL, Judge: Respondent determined a deficiency in income tax for the calendar*222 year 1963 in the amount of $2,678.61.

Petitioner assigned one error as follows:

A. For the year 1963, the Commissioner erred by disallowing a farm loss in the amount of $4,641.72 for the reason that the loss is not allowable under Section 165 or any other section of the Internal Revenue Code of 1954.

Findings of Fact

Some of the facts were stipulated. The stipulation, together with all of the exhibits attached thereto, is incorporated herein by reference.

Petitioner is an individual and at the time of filing the petition herein resided at Finca El Coronel, Churriana, Malaga, Spain. He filed his Federal income tax return for the calendar year 1963 with the Director of International Operations in Washington, D.C. On this return petitioner deducted a 388 farm loss in the amount of $4,641.72 which, in a separate sheet attached to the return, he explained thus:

PROFIT OR LOSS FROM FARM
Loss per Schedule F attached($6,631.03)
Less 30% disallowed under Sec. 911(a)(1) 1,989.31
Loss allowed ($4,641.72)

In a statement attached to the deficiency notice the respondent disallowed the claimed loss with this explanation:

(a) The farm loss claimed in*223 your return in the amount of $4,641.72 is disallowed for the reason that you have failed to show that the loss is allowable under section 165 or any other section of the Internal Revenue Code.

Prior to World War II petitioner lived in Maryland and rented two farms. After the war he bought a small farm in Delaware and supervised the operation of the farm for approximately 4 years. He produced truck crops on the Delaware farm and raised chickens on the farms in Maryland. During the time petitioner operated the Delaware farm, he was able to show a small profit.

In 1955 petitioner left the United States and took up residence in Spain. In 1956 he purchased a tract of approximately 17 acres in southern Spain, about 3 miles inland from the Mediterranean Sea between the cities of Malaga and Torremolinos, at a cost of $20,000, or 840,000 pesetas. At that time, the official rate of exchange between United States dollars and Spanish pesetas was 42 pesetas for one dollar. This tract had been operated solely as an olive farm and had on it about 2,000 olive trees that were from 500 to 1,000 years old. This olive farm was completely surrounded by other farms. Petitioner has maintained his principal*224 place of residence at this property from 1956 to the date of the hearing herein.

Petitioner has not been engaged as an employee in any capacity during the years 1956 through and including 1963.

The official rate of exchange in 1963 between United States dollars and Spanish pesetas was 60 pesetas for one dollar.

Paragraphs 7 and 8 of the stipulation are as follows:

7. Petitioner's operation of the property in question, as reported on Schedule F of his Federal income tax returns for the years 1957 through 1966, reflects the following: (such amounts are explained in detail by the accompanying chart attached hereto and made a part hereof as Exhibit 2-B) 1

YearGross IncomeExpenseNet Profit orLoss
1957$1,140.00$4,805.00($ 3,665.00)
1958230.775,153.65(4,922.88)
1959250.006,325.91(6,075.91)
1960740.006,530.21(5,790.21)
1961375.00 6,373.67(5,998.67)
19627

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Lowenthal v. Commissioner, 1968 T.C. Memo. 79, 27 T.C.M. 387, 1968 Tax Ct. Memo LEXIS 221 (tax 1968).

1968 T.C. Memo. 79 (Lowenthal v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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459 F.2d 487 (Court of Claims, 1972)