Perlin v. Commissioner

86 T.C. No. 25, 86 T.C. 388, 1986 U.S. Tax Ct. LEXIS 141
CourtUnited States Tax Court
DecidedMarch 19, 1986
DocketDocket Nos. 26381-82, 20634-83
StatusPublished
Cited by25 cases

This text of 86 T.C. No. 25 (Perlin 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
Perlin v. Commissioner, 86 T.C. No. 25, 86 T.C. 388, 1986 U.S. Tax Ct. LEXIS 141 (tax 1986).

Opinions

HORNER, Judge:

Respondent determined deficiencies in Federal income taxes against petitioners Paul J. Perlin, Henry E. Hershey, and Ellen K. Hershey (hereinafter collectively referred to as petitioners) as follows:

Petitioner(s) Docket No. TYE Dec. 31-Deficiency
Paul J. Perlin 26381-82 20634-83 20634-83 1978 1979 1980 2$498,161 20,398 687,033
Henry E. Hershey and Ellen K. Hershey 20634-83 20634-83 1979 1980 152,245 646,979

By amended answers filed October 1, 1984, in docket Nos. 26381-82 and 209634-83, respondent claimed additional deficiencies in unspecified amounts against petitioners pursuant to section 6621(d).3

After concessions, the issues remaining for decision are: (1) Whether petitioners’ investments in certain commodity straddles for the taxable year ending December 31, 1980, were sham transactions, devoid of the requisite economic substance; (2) whether petitioners’ investments in commodity straddle transactions for the taxable years ending December 31, 1978, through December 31, 1980, satisfied the entered into for profit requirement of section 108 of the Tax Reform Act of 1984 ( the act );4 and (3) whether petitioners are liable for additional interest pursuant to section 6621(d) for the taxable years ending December 31, 1978, through December 31, 1980.

FINDINGS OF FACT

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

General Background

As of the dates of filing, the petitions in docket Nos. 26381-82 and 20634-83, petitioner Paul J. Perlin (Perlin) resided in Chicago, Illinois. For the calendar years 1978, 1979, and 1980, Perlin timely filed individual income tax returns, using the cash method of accounting.

Petitioners Henry E. Hershey (Hershey), and Ellen K. Hershey (collectively the Hersheys), husband and wife, resided in Lexington, Kentucky, at the time the petition in docket No. 20634-83 was filed. For the calendar years 1979 and 1980, the Hersheys timely filed joint income tax returns using the cash method of accounting.

Hillbrook Farm, Inc. (Hillbrook) (formerly Hilltop View Farm, Inc.) is a Kentucky corporation. During 1978, 1979, and 1980, Hillbrook was an electing small business corporation pursuant to section 1372 and filed an information return for subchapter S corporations for each of such years using the cash method of accounting.

In 1958, at the age of 15, Perlin began working at the Chicago Board of Trade (CBOT) as a commodities clerk. In September 1964, Perlin became a member of the CBOT and began trading as a floor trader5 in commodity futures contracts. Except for brief interruptions, Perlin was a trader from 1964 through 1983, inclusive.

In January 1978, Perlin formed Hilltop View Farm, Inc. (Hilltop), contributing thoroughbred horses and a horse farm he owned in exchange for all of Hilltop’s stock. Hershey was employed as an officer of Hilltop with the responsibility of running the horse farm. On March 15, 1978, Perlin sold one-half of his shares of stock in Hilltop to Hershey, in return for a note in the amount of $250,000. On that same date, Perlin commenced trading in commodity futures contracts on behalf of Hilltop.

Although Perlin and Hershey both were employed by Hilltop, they agreed that they both could have outside business interests. Hershey continued as a partner in another horse operation, Hillbrook Farm, while Perlin continued to trade commodity futures on his own behalf.

During the summer of 1979, Hershey and Perlin agreed that they would both devote their full energies to the operation of Hilltop. They agreed that Perlin would trade only for Hilltop and that the Hersheys would purchase the interests of the other partners in Hillbrook Farm and would transfer their interest in the assets of Hillbrook Farm to Hilltop, as part of a recapitalization of Hilltop. As a result, Perlin liquidated any open futures positions he had in his own name at that time. On October 1, 1979, the Hersheys purchased the interests of the other partners of Hillbrook Farm. On December 21, 1979, the stock ownership of Hilltop was restructured as part of a recapitalization, and the ownership of Hilltop became as follows: Perlin - 50 percent; Henry Hershey - 37 percent; and Ellen Hershey - 13 percent. This ownership continued through 1983. At the time of the recapitalization, Hilltop changed its name to Hillbrook Farm, Inc.

During 1978, 1979, and 1980, Hershey’s primary responsibility was to manage and operate the horse operation of Hillbrook. Perlin’s primary responsibility during those years was to plan and execute the trading of Hillbrook in commodity futures contracts. Ellen Hershey was not involved in the management or operation of Hillbrook during those years.

The deficiencies in the instant cases relate solely to the tax consequences of four straddle transactions:

Name Established Liquidated
1. Silver Straddle Apr. 13, 1978 Jan. 10, 1979
2. Soybean Straddle July 31, 1979 Jan. 3, 1980
3. T-Bond Straddle No. 1 Oct. 11, 1979 Jan. 6, 19816
4. T-Bond Straddle No. 2 June 26, 1980 Mar. 24, 19826

The Silver Straddle was established solely on behalf of Perlin, individually. The Soybean Straddle and both U.S. Treasury Bond (T-Bond) Straddles were entered into by Perlin on behalf of Hillbrook.

General Elements of Commodity Futures Trading

A detailed description of commodity futures is not necessary.7 Here we are primarily concerned with straddles and butterfly straddles. A straddle8 position is established by simultaneously holding a long position (a contract to buy) in one delivery month and a short position (a contract to sell) in another delivery month, with respect to the same commodity.9 For example, if one buys a contract in May 1985 soybeans and sells a contract in July 1985 soybeans, he has established a straddle, long May soybeans and short July soybeans. The two separate delivery months, May and July, are called legs of the straddle.

A butterfly straddle is a combination of two straddles, involving 3 contract months with at least four legs. The following diagram represents an example of a perfect butterfly:

1 Long March Soybeans 1 Long July Soybeans
(Wing) (Wing)
2 Short May Soybeans (Body)

In a perfect butterfly straddle, the number of contracts involved in each wing will be one-half of the number of contracts involved in the body. A butterfly may also be imperfect. An example of an imperfect butterfly would be as follows:

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Bluebook (online)
86 T.C. No. 25, 86 T.C. 388, 1986 U.S. Tax Ct. LEXIS 141, Counsel Stack Legal Research, https://law.counselstack.com/opinion/perlin-v-commissioner-tax-1986.