Phillips v. Commissioner

114 T.C. No. 7, 114 T.C. 115, 2000 U.S. Tax Ct. LEXIS 13
CourtUnited States Tax Court
DecidedFebruary 29, 2000
DocketNo. 9354-96
StatusPublished
Cited by23 cases

This text of 114 T.C. No. 7 (Phillips 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
Phillips v. Commissioner, 114 T.C. No. 7, 114 T.C. 115, 2000 U.S. Tax Ct. LEXIS 13 (tax 2000).

Opinion

OPINION

Dawson, Judge:

This case was assigned to Special Trial Judge Stanley J. Goldberg pursuant to Rules 180, 181, and 183. All Rule references are to the Tax Court Rules of Practice and Procedure. Unless otherwise indicated, section references are to the Internal Revenue Code in effect for the years in issue. The Court agrees with and adopts the opinion of the Special Trial Judge, which is set forth below.

OPINION OF THE SPECIAL TRIAL JUDGE

Goldberg, Special Trial Judge:

Respondent determined deficiencies in petitioners’ Federal income taxes, additions to taxes, and penalties for the taxable years and in the amounts set forth below:

Additions to tax
Year Deficiency Sec. Sec. 6651(a) 6653(a) Sec. 6653(a)(1)(B) Sec. 6659 Sec. 6661 Additional interest sec. 6621(c)
1980 $3,917 --- --- --- --- --- 1
1981 17
1982 1,248
1983 11,334 $1,043
1984 1,196
1985 4,662
1986 8,068 139
1987 54,708 7,402 $2,760 2 $16,412 $13,677
1988 52,048 8,981 2,670 15,614 13,012
Penalties
Sec. 6662(h) Sec. 6662(e) Sec. 6662(d) Sec. 6662(c)
1989 $43,986 $4,008 $17,594 $8,797 $8,797 $8,797
1990 25,515 4,697 6,593 3,296 5,103 5,103
1991 41,240 7,435 16,238 8,119 8,248 8,248
1992 222,282 10,792 88,913 44,456 44,456 44,456

After concessions, the sole issue to be decided is whether the periods of limitations for the years in issue expired before the issuance of the final partnership administrative adjustments (FPAA’s). The resolution of this issue depends upon whether Walter J. Hoyt III, as tax matters partner for the partnerships involved herein, validly executed various Forms 872, Consent to Extend the Time to Assess Tax.

This case was submitted fully stipulated pursuant to Rule 122. The stipulations of facts and the attached exhibits are incorporated herein by this reference. At the time the petition was filed, petitioners lived in Shell Beach, California.

In 1983, petitioners became limited partners in the Shorthorn Genetic Engineering 1983-2 partnership (SGE 83-2) and claimed losses and investment tax carrybacks to the 1980, 1981, and 1982 taxable years. Petitioners subsequently became limited partners in both the Durham Shorthorn Breed Syndicate 1987-E partnership (DSBS 87-E) and the Timeshare Breeding Service Joint Venture partnership (TBS J.V.). These three partnerships, hereinafter collectively referred to as the Hoyt partnerships, are TEFRA1 partnerships subject to the provisions of sections 6221 through 6233 for all post-1982 taxable years in issue. Petitioners claimed losses from the Hoyt partnerships through 1992.

Walter J. Hoyt III (Mr. Hoyt) was designated the tax matters partner (tmp) on the Hoyt partnership returns for the years in issue, with the sole exception of SGE 83-2, which did not list a designated TMP on its partnership return for the 1983 tax year.2

As TMP, Mr. Hoyt executed extensions of the periods of limitations, extending the periods for assessment and collection for the Hoyt partnerships as set forth below:

Partnership Year1 Form signed Date signed Date of extension expiration Date FPAA was issued
SGE 83-2 1983 872-0 9/25/86 Indefinite 9/19/89
SGE 83-2 1984 872-0 8/1/87 Indefinite 9/19/89
SGE 83-2 1985 None 9/19/89
SGE 83-2 1986 None 6/25/90
SGE 83-2 1987 872-P 2/15/91 12/31/92
872 4/6/91 12/31/92
872 7/25/92 6/30/93
872-P 7/25/92 6/30/93
872-P 3/6/93 12/31/93 11/22/93
SGE 83-2 1988 872-P 2/14/91 12/31/92
872 4/6/91 12/31/92
872 7/25/92 6/30/93
872-P 7/25/92 6/30/93
872-P 3/6/93 12/31/93 11/22/93
SGE 83-2 1989 872 7/25/92 6/30/93
872-P 7/25/92 6/30/93
872-P 3/6/93 12/31/93 11/22/93
SGE 83-2 1990 None 9/12/94
SGE 83-2 1991 None 3/27/95
SGE 83-2 1992 None 6/25/95
DSBS 87-E 1988 872-P 2/14/91 12/31/92
872 4/6/91 12/31/92
872 7/25/92 6/30/93
872-P 7/25/92 6/30/93
872-P 3/6/93 12/31/93 10/25/93
DSBS 87-E 1989 872 7/25/92 6/30/93
872-P 7/25/92 6/30/93
872-P 3/6/93 12/31/93 10/18/93
DSBS 87-E 1990 None 7/15/94
DSBS 87-E 1991 None 4/24/95
TBS J.V. 1987 872-P 2/22/91 12/31/92
872 7/25/92 6/30/93
872-P 7/25/92 6/30/93
872-P 3/6/93 12/31/93 12/30/93
TBS J.V. 1988 872 4/6/91 12/31/92
872 7/25/92 6/30/93
872-P 7/25/92 6/30/93
872-P 3/6/93 12/31/93 12/30/93
TBS J.V. 2 1989 872 7/25/92 6/30/93
872-P 7/25/92 6/30/93
872-P 3/6/93 12/31/93 None3
TBS J.V. 2 1990 None None3
TBS J.V. 21991 None None3
Form Date of extension Date FPAA was
Partnership Year1 signed Date signed expiration issued
TBS J.V. 2

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Bluebook (online)
114 T.C. No. 7, 114 T.C. 115, 2000 U.S. Tax Ct. LEXIS 13, Counsel Stack Legal Research, https://law.counselstack.com/opinion/phillips-v-commissioner-tax-2000.