Metals Refining, Ltd. v. Commissioner

1993 T.C. Memo. 115, 65 T.C.M. 2171, 1993 Tax Ct. Memo LEXIS 113
CourtUnited States Tax Court
DecidedMarch 29, 1993
DocketDocket Nos. 11432-89, 16665-90
StatusUnpublished
Cited by7 cases

This text of 1993 T.C. Memo. 115 (Metals Refining, Ltd. 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
Metals Refining, Ltd. v. Commissioner, 1993 T.C. Memo. 115, 65 T.C.M. 2171, 1993 Tax Ct. Memo LEXIS 113 (tax 1993).

Opinion

METALS REFINING LIMITED, BRUCE STEIN, TAX MATTERS PARTNER AND VIRGIL L. JACKSON, TAX MATTERS PARTNER, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent; METAL REFINING LIMITED, ELAINE C. LEVY, A PARTNER OTHER THAN THE TAX MATTERS PARTNER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Metals Refining, Ltd. v. Commissioner
Docket Nos. 11432-89, 16665-90
United States Tax Court
T.C. Memo 1993-115; 1993 Tax Ct. Memo LEXIS 113; 65 T.C.M. (CCH) 2171;
March 29, 1993, Filed
*113 Bruce Stein and Virgil L. Jackson, pro se in docket Nos. 11432-89, 16665-90.
George J. Rabil and Norman E. Bayles for M. Arthur Auslander (participating partner) in docket Nos. 11432-89, 16665-90.
Ellis L. Reemer and Dennis M. Bresnan, for John J. Dwyer (participating partner) in docket Nos. 11432-89 and 16665-90.
Michael S. Daiell, for petitioner Elaine C. Levy in docket No. 16665-90 and participating partner Elaine C. Levy in docket No. 11432-89.
Ira B. Stechel, for participating partners James Bottari and Mario Cella in docket No. 16665-90.
William S. Garofalo, Leon R. St. Lauren, and Frank A. Racaniello, for respondent.
PANUTHOS

PANUTHOS

MEMORANDUM FINDINGS OF FACT AND OPINION

PANUTHOS, Chief Special Trial Judge: These cases were assigned pursuant to the provisions of section 7443A(b)(4) and Rules 180, 181, and 183 and a partial trial held with respect to certain issues. 1

*114 Respondent issued two Notices of Final Partnership Administrative Adjustment (FPAA) with respect to partnership adjustments of Metals Refining Limited (MRL). The first FPAA, issued February 22, 1989, disallowed $ 230,000 2 of loss claimed on the partnership return for the taxable year 1983. The second FPAA, issued on April 23, 1990, disallowed $ 1,820,000 of loss claimed by MRL for 1982. Petitioners 3 filed timely petitions for readjustment of partnership items pursuant to section 6226(a) and (b). A timely amended petition was filed in docket No. 11432-89. The petitions, among other things, claim that respondent is barred by the statute of limitations from assessing tax on partnership income for the 1982 and 1983 tax years. Petitioners argue that the returns were timely filed or at least were delivered to respondent's agents no later than July 20, 1984. If petitioners are correct, the period of limitations would have expired, at the latest, on July 20, 1987 (excluding any extensions) and the FPAA's would be time-barred. As an alternative argument, petitioners, in amendments to the respective petitions, claim that, even if the returns in issue had not been properly filed, *115 respondent is equitably estopped from denying that the alleged delivery of the returns on July 20, 1984, was effective filing to commence the running of the period of limitations.

Respondent argues that the returns were not timely filed and that properly executed returns were not delivered to respondent's agents on July 20, 1984. Respondent also argues that equitable estoppel cannot be invoked by petitioners.

The issues to be decided in this partial trial are: (1) Whether the periods for assessment of tax expired before the time respondent issued the FPAA's to the *116 partnership; (2) whether termination of an extension under Form 872-P, Consent to Extend the Time to Assess Tax Attributable to Items of a Partnership, bars assessment of tax for the 1982 and 1983 tax years; and (3) whether respondent is nevertheless barred from issueing the FPAA's under equitable estoppel principles.

FINDINGS OF FACT

Some of the facts are stipulated and are incorporated in our findings herein. At the time the respective petitiones were filed herein, petitioner Bruce Stein resided in Summit, New Jersey; petitioner Virgil L. Jackson resided in Wellington, Florida; and petitioner Elaine C. Levy resided in Brooklyn, New York.

MRL is a limited partnership formed for the purpose of researching and developing, as well as manufacturing and marketing, metallurgical prototypes (iron and steel). At the time of the filing of the petitions herein, MRL's principal place of business was Freehold, New Jersey. For the taxable years 1982 and 1983, MRL was a partnership subject to the partnership procedures enacted by Congress in the Tax Equity and Fiscal Responsibility Act of 1982 (TEFRA), Pub. L. 97-248, sec. 402(a), 96 Stat. 648-667, and set forth in sections 6221 through 6233. *117 4

The corporate general partner of MRL (until February 1986) was University Investment Research Associates, Inc. (UIRA). Wilbur Duncan (Duncan) and Beatrice Spinelli (Spinelli) were each 50 percent shareholders of UIRA. Duncan was the president and chief executive officer of UIRA and Spinelli was the secretary/treasurer. Although Duncan possessed the official title as chief executive officer, many of the decisions concerning MRL were made pursuant to the advice of Philip Kaftol (Kaftol), husband of the above-mentioned Spinelli. As a result of Duncan's declining health, Spinelli was the acting chief executive officer of UIRA from December 1984 until approximately June 1986. After February 1986, the corporate general partner of MRL was University Management and Investment Associates, Inc. (UMIA). Kaftol held himself out as the president of UMIA. 5 Kaftol*118

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Cite This Page — Counsel Stack

Bluebook (online)
1993 T.C. Memo. 115, 65 T.C.M. 2171, 1993 Tax Ct. Memo LEXIS 113, Counsel Stack Legal Research, https://law.counselstack.com/opinion/metals-refining-ltd-v-commissioner-tax-1993.