Miller v. Commissioner

1986 T.C. Memo. 390, 52 T.C.M. 239, 1986 Tax Ct. Memo LEXIS 220
Procedural entryThis page is a short order in Miller v. Commissioner. Read the opinion of the Court — 84 T.C. 827
United States Tax Court·Decided August 20, 1986·No. Docket Nos. 14478-82, 19772-83, 25793-83.·Unpublished

Opinion

STEPHEN A. MILLER AND BARBARA J. MILLER, ET AL., 1 Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Miller v. Commissioner
Docket Nos. 14478-82, 19772-83, 25793-83.
United States Tax Court
T.C. Memo 1986-390; 1986 Tax Ct. Memo LEXIS 220; 52 T.C.M. (CCH) 239; T.C.M. (RIA) 86390;
August 20, 1986.
Daniel J. Winfree, for petitioners.
Karen Nicholson Sommers, for respondent.

SHIELDS

*221 MEMORANDUM FINDINGS OF FACT AND OPINION

SHIELDS, Judge: Respondent determined deficiencies in and additions to petitioners' income taxes as follows:

Additions to Tax
PetitionersYearDeficienciesSection 6653(a) 2
Stephen A. Miller1978$7,196.00
and Barbara J. Miller197914,445.00
Tracy Bischof19786,393.00$320.00
and Arlyne Bischof19798,116.00406.00
19808,804.00
James A. Palmer19795,830.00269.00
and Karen T. Palmer19808,732.00
19816,218.00

After concessions, the issues remaining for decision are what amounts, if any, are petitioners entitled to deduct for depreciation under section 167 and to claim as credits under section 48(a) because of their investments in certain lithograph plates.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation and exhibits attached thereto are incorporated herein by reference.

*222 Petitioners Stephen A. Miller and Barbara J. Miller, husband and wife, resided in Granada Hills, California, at the time they filed their petition. They filed joint income tax returns for the years 1978 and 1979. Stephen was a sales manager for a scientific instrument company and Barbara was a housewife during the years 1978 and 1979.

Petitioners Tracy Bischof and Arlyne Bischof, husband and wife, resided in El Cajon, California, when they filed their petition. They filed joint income tax returns for the years 1978, 1979, and 1980. Tracy was a retailer of dental ceramics and Arlyne was a housewife from 1978 through 1981.

Petitioners James T. Palmer and Karen A. Palmer, husband and wife, resided in LaMesa, California, at the time they filed their petition. They filed joint income tax returns for the years 1979, 1980, and 1981. James was a junior college instructor and Karen was a teacher during the years 1977 through 1981.

Multiple Graphics Enterprises ("Multiple Graphics") was incorporated in California on July 1, 1979, by George W. Petropoulos and David L. Kagel to acquire and resell lithograph plates. Petropoulos and Kagel each owned 50 percent of the stock of Multiple*223 Graphics in 1979 and 1980 and were its principal officers and directors. Neither of them had any experience in the marketing of art prior to their formation of the corporation. They did, however, consult to a limited extent with Herbert Hamrell, the owner of an art gallery.

On October 1, 1979, Multiple Graphics entered into an agreement with Herbert Fink, an artist, under which Fink agreed to produce 29 lithograph plates and transfer them together with all related rights to Multiple Graphics. On December 31, 1979, fink transferred the 29 plates and related rights to Multiple Graphics for the sum of $72,500, or $2,500 per plate. During 1979, Multiple Graphics offered to sell undivided one-half interests in each of the 29 plates for a total of $50,000. Each prospective purchaser received an offering memorandum from Multiple Graphics. The memorandum emphasized that the art business was highly speculative and that a purchase of the plates "should be considered only by a person who can afford total loss of his purchase price." Prospective purchasers were also informed by the memorandum that Multiple Graphics had no experience in the art business.

Most of the memorandum was addressed*224 to the tax implications of the promotion. The tax implications were also discussed in an opinion letter that accompanied the memorandum. Neither the memorandum nor the opinion letter contained any discussion of the income to be earned from the plates. The only projection concerned the tax savings that could be received by an individual buying a 50 percent interest in one of the plates.

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Miller v. Commissioner, 1986 T.C. Memo. 390, 52 T.C.M. 239, 1986 Tax Ct. Memo LEXIS 220 (tax 1986).

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