Mayer v. Commissioner

1994 T.C. Memo. 209, 67 T.C.M. 2949, 1994 Tax Ct. Memo LEXIS 216
United States Tax Court·Decided May 11, 1994·No. Docket No. 12927-91·Unpublished·Cited by 2 cases

Opinion

FREDERICK R. MAYER AND JAN PERRY MAYER, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Mayer v. Commissioner
Docket No. 12927-91
United States Tax Court
T.C. Memo 1994-209; 1994 Tax Ct. Memo LEXIS 216; 67 T.C.M. (CCH) 2949;
May 11, 1994, Filed

*216 Decision will be entered for respondent.

Ps employed money managers who engaged in numerous securities transactions on Ps' behalf during the years in issue. Ps actively oversaw the money managers. Ps' focus was long-term capital growth. The average holding period of Ps' stocks sold during the years in issue was approximately 1 year. Ps' principal sources of income from their securities transactions were dividends, interest, and long-term capital gains. Ps did not allocate any costs of their securities activity to particular purchases or sales.

Held: Ps were mere investors, and their securities activity does not constitute a trade or business. Held, further, Ps may not capitalize their securities-related costs incurred during the years in issue. Held, further, Ps' securities activity was not a passive activity within the meaning of sec. 469, I.R.C., so their capital gains from sales of securities were not passive income.

For petitioners: Claude R. Wilson, Jr., Kemble White, and Susan P. Mueller.
For respondent: Curt M. Rubin and Brian Condon.
LARO

LARO

MEMORANDUM FINDINGS OF FACT AND OPINION

LARO, Judge: This case is before the Court on the petition*217 of Frederick R. Mayer and Jan Perry Mayer (petitioners) for redetermination of respondent's determinations reflected in her notice of deficiency. Respondent determined deficiencies in petitioners' Federal income tax as follows:

YearDeficiency
19861 $ 255,225
1987392,342
198841,119

The issues for decision are:

(1) Whether petitioners were engaged in the trade or business of trading securities. We hold they were not.

(2) Whether petitioners may add their securities-related expenses to the cost basis of stocks purchased and to the sales expenses of stocks sold if they were not engaged in the trade or business of trading securities, but were investors in securities. We hold they may not.

(3) Whether petitioners may treat certain investment income as income from a passive activity under section 469. 1 We hold they may not.

*218 FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulations and exhibits attached thereto are incorporated herein by this reference. Petitioners are husband and wife; they resided in Denver, Colorado, when they filed their petition.

Petitioners' Federal income tax returns for the years in issue included a Schedule C, Profit or (Loss) from Business or Profession (Sole Proprietorship), for an activity they reported as the business "trader in securities". Petitioners reported gross receipts on that Schedule C in the following amounts for each year in issue:

YearAmount
1986$ 20,781,059
198718,471,132 
198814,443,939 

For each year in issue, petitioners determined their "cost of goods sold" by adding "cost of securities sold in trading activities" to "net capital gains reported on Schedule D". Accordingly, in each year, petitioners reported "cost of goods sold" equal to their "gross receipts". For 1986 and 1987, this approach resulted in a net loss equal to the amount of expenses reported for that year. For 1988, because petitioners determined that part of the net loss from the securities activity was not allowable, petitioners reported*219 a net loss of $ 696,467.

Petitioners reported the following expenses on their Schedule C for the securities activity for each of the years in issue:

Expense1986 1987 1988 
Investment management fee$ 1,250,200$ 1,359,367$ 1,254,693
Ban

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Mayer v. Commissioner, 1994 T.C. Memo. 209, 67 T.C.M. 2949, 1994 Tax Ct. Memo LEXIS 216 (tax 1994).

1994 T.C. Memo. 209 (Mayer v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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