Patterson v. Commissioner

1981 T.C. Memo. 43, 41 T.C.M. 807, 1981 Tax Ct. Memo LEXIS 703
United States Tax Court·Decided February 2, 1981·No. Docket No. 4169-78.·Unpublished

Opinion

NICHOLAS C. AND MOLLY G. PATTERSON, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Patterson v. Commissioner
Docket No. 4169-78.
United States Tax Court
T.C. Memo 1981-43; 1981 Tax Ct. Memo LEXIS 703; 41 T.C.M. (CCH) 807; T.C.M. (RIA) 81043;
February 2, 1981.
William Lee Fergus, for the petitioners.
Osmun R. Latrobe, for the respondent.

DAWSON

MEMORANDUM FINDINGS OF FACT AND OPINION

DAWSON, Judge: Respondent determined a deficiency in petitioners' Federal income tax for 1975 in the amount of $ 5,138.75. The only issue presented for decision is whether losses incurred on the sale of certain commodity futures contracts are ordinary or capital losses.

FINDINGS OF FACT

Some of the facts have been stipulated, and the stipulations of fact and attached exhibits are incorporated herein by reference.

Nicholas C. Patterson (hereinafter referred*704 to as petitioner) and Molly G. Patterson are married and resided in Blytheville, Arkansas, when they filed their petition in this case.

Petitioner's principal source of income is from farming operations in and around Blytheville. During 1975 his farm income was derived primarily from four crops, as follows:

CropGross Receipts
Cotton$ 40,442
Grain28,992
Soybeans150,138
Alfalfa3,033

Petitioner also traded actively in commodity futures contracts of wheat, cotton, corn, and soybeans through an account he maintained with the brokerage firm of Merrill, Lynch, Pierce, Fenneer & Smith, Inc. During 1975 he engaged in 139 separate transactions involving the purchase or sale of commodity futures. Of these transactions, 39 dealt with soybean futures.

In petitioner's farming locality soybeans are planted in May or June of each year. The crop is harvested in September, October, or November, depending upon the particular variety of soybean planted. Because petitioner has no storage facilities, he must either sell his grain when harvested or else pay to have it stored in commercial grain elevators. During the 1975 harvest season the soybean market was depressed*705 and many farmers elected to store their beans in commercial grain elevators rather than sell them outright. As a result, at various times during the harvest season petitioner found the grain elevators with which he normally dealt fully booked and unable to store his beans for more than a ten-day period. Thus, he was forced to sell, rather than store, the following portions of his soybean crop:

QuantityAmount
Date of SaleGrain Elevator(Bushels)Received
October 27, 1975
Bunge Corp.5327.33$ 19,496.61
October 27, 1975
Bunge Corp.1526.167,906.56
October 27, 1975
Farmer's Soybean1475.886,439.04
8329.37$ 33,842.21
November 10, 1975
Bunge Corp.220.17$ 975.57
November 10, 1975
Bunge Corp.151.81678.13
November 10, 1975
Bunge Corp.2475.438,990.66
November 10, 1975
Farmer's Soybean532.412,009.85
* 3379.82$ 12,654.21
November 20, 1975
Bunge Corp.2856.97$ 10,722.33
November 20, 1975
Bunge Corp.738.552,786.99
November 20, 1975
Bunge Corp.

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Patterson v. Commissioner, 1981 T.C. Memo. 43, 41 T.C.M. 807, 1981 Tax Ct. Memo LEXIS 703 (tax 1981).

1981 T.C. Memo. 43 (Patterson v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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