Meade v. Commissioner

1973 T.C. Memo. 46, 32 T.C.M. 200, 1973 Tax Ct. Memo LEXIS 238
United States Tax Court·Decided February 26, 1973·No. Docket No. 2731-71.·Unpublished·Cited by 1 cases

Opinion

THOMAS MEADE, JR. AND HELEN MEADE, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Meade v. Commissioner
Docket No. 2731-71.
United States Tax Court
T.C. Memo 1973-46; 1973 Tax Ct. Memo LEXIS 238; 32 T.C.M. (CCH) 200; T.C.M. (RIA) 73046;
February 26, 1973, Filed
Daniel W. Boyle, for the petitioners.
Robert J. Murray, for the respondent.

FAY

MEMORANDUM FINDINGS OF FACT AND OPINION

FAY, Judge: Respondent determined deficiencies in the income tax liability of the petitioners for the taxable years 1967, 1968, and 1969, as follows:

YearAmount
1967$7,795.72
19687,581.10
196921,268.92

The issue is whether losses incurred in the commodity futures market are capital or ordinary. 2

FINDINGS OF FACT

Some of the facts have been stipulated; the stipulation of facts and exhibits attached thereto are incorporated herein by this reference.

Petitioners, Thomas Meade, *239 Jr. , and Helen Meade, filed joint Federal income tax returns for the taxable years 1967, 1968, and 1969 with the director of the Internal Revenue Service Center, Kansas City, Missouri. Petitioners' legal residence on the date of the filing of the petition herein was Oxford, Iowa. Petitioner Helen Meade is a party herein only by reason of having filed a joint return with her husband, Thomas Meade, Jr., and the latter will hereinafter be referred to as petitioner.

During the taxable years at issue, the petitioner owned and operated a farm of approximately 520 acres in Johnson County, Iowa. The farming operation consisted of raising corn and fattening cattle primarily to be sold as slaughter cattle (hereinafter referred to as fat cattle). The general practice was to acquire feeder cattle at a weight of from 500 to 700 pounds and feed them until they weighed between 1,100 and 1,200 pounds. The time required to fatten the average feeder animal is approximately 140 days. The feeder cattle are fattened on high-energy feed composed primarily of corn. An average of 70 bushels of corn are needed to fatten the feeder cattle to the desired salable weight. The petitioner raised approximately*240 21,660 bushels of corn on his farm during the years at issue, 3 most of which was fed to the feeder cattle. In addition, the petitioner purchased the following amounts of corn for his farming operation and stockyard operation:

YearFarmStockyard
BushelsBushels
196715,4304,343
19681,05911,357
196928,9053,248

The petitioner did not have a long-term contract for the purchase of the extra feed he needed. He purchased the excess on a day-to-day basis as needed.

North Liberty Stockyards, Inc. (North Liberty), is an Iowa corporation which elected under section 1372 not to be subject to the taxes imposed by chapter 1 of the Code for the taxable years 1967, 1968, and 1969. The petitioner is the sole stockholder of North Liberty.

North Liberty did not operate like the petitioner's separate farming operation. North Liberty was a stockyard and generally operated on the principle of buying and selling cattle at a very fast turnover rate. Cattle served as inventory for the petitioner's North Liberty operation and as a general rule cattle remained at the stockyard only for a period of ten days. North Liberty bought and sold cattle during the*241 years at issue as follows: 4

YearSale in No. ofPurchase in No.
Heads 1of Heads
19678,6099,802
196812,72814,114
19695,0244,468

During the taxable years at issue, the petitioner obtained from North Liberty feeder cattle which he fattened in his farming operation. The number of cattle purchased from North Liberty are as follows:

YearNo. of

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Meade v. Commissioner, 1973 T.C. Memo. 46, 32 T.C.M. 200, 1973 Tax Ct. Memo LEXIS 238 (tax 1973).

1973 T.C. Memo. 46 (Meade v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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