Popkin v. Commissioner

1988 T.C. Memo. 459, 56 T.C.M. 294, 1988 Tax Ct. Memo LEXIS 503
CourtUnited States Tax Court
DecidedSeptember 22, 1988
DocketDocket No. 876-83
StatusUnpublished

This text of 1988 T.C. Memo. 459 (Popkin 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
Popkin v. Commissioner, 1988 T.C. Memo. 459, 56 T.C.M. 294, 1988 Tax Ct. Memo LEXIS 503 (tax 1988).

Opinion

MARVIN L. POPKIN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Popkin v. Commissioner
Docket No. 876-83
United States Tax Court
T.C. Memo 1988-459; 1988 Tax Ct. Memo LEXIS 503; 56 T.C.M. (CCH) 294; T.C.M. (RIA) 88459;
September 22, 1988
Samuel S. Forman, for the petitioner.
Bonnie L. Rosner, for the respondent.

GERBER

MEMORANDUM FINDINGS OF FACT AND OPINION

GERBER, Judge: Respondent, in a notice of deficiency dated October 13, 1982, determined a deficiency in petitioner's income tax of $ 201,784 and an addition under section 6653(b) 1 of $ 100,892 for taxable year 1978. Because petitioner has conceded the amount of the income tax deficiency, the only issue left for consideration is whether petitioner is liable for the fraud addition under section 6653(b).

*504 FINDINGS OF FACT

At the time the petition was filed in this case, petitioner resided in Miami Beach, Florida. Petitioner's tax return for the 1978 taxable year was filed on October 15, 1979. The stipulation of facts and attached exhibits are incorporated herein by this reference.

From 1974 to 1979, petitioner was a promoter and/or investor in numerous tax shelters. Promotion of such shelters was his principal source of income. Petitioner, directly or indirectly (through other partnerships or corporations), was the general partner of many limited partnership tax shelters. Petitioner's participation will be discussed under four broad categories of shelters: (1) Movies; (2) coal; (3) lithographs; and (4) books.

Movies

From 1974 to 1976, petitioner, with the assistance of an attorney, Milton Fried (Fried), purchased various movies through limited partnership vehicles and sold limited partnership interests to investors. Petitioner promoted and was the general partner, directly or indirectly, 2 of the following movie ventures:

PartnershipName of Movie(s)
Sea Properties, Ltd.The Sky is Falling
Lakeview Properties, Ltd.The Heroes
Bijoux Properties, Inc.Family Jewels
River Properties, Ltd.Violent City
Islandview Properties, Ltd.Evil Eye
Oceanview Properties, Ltd. *
Parkview Properties, Ltd.Open Season
Wolf Properties, Ltd.Larson, Wolf of the Seven
Seas
Wizard Properties, Ltd. *
Dorian Properties, Ltd.Billions For a Blonde
Return of White Fang
*505

The purchase price of the movies was financed largely with nonrecourse notes. All of the partnerships showed large losses on their partnership returns, which losses the partners presumably claimed on their individual tax returns. The partners also took investment tax credits based on the purchase price of the movies. The partnerships had nominal amounts of gross income.

Coal

In the latter part of 1976, petitioner and Fried began to investigate the possibility of promoting coal tax shelters. Petitioner was investigating coal investments at this time in order to salvage some movie partnerships that had already been formed but were to be adversely affected by retroactive changes in the tax law.

Petitioner met Bob Slatko (Slatko) in the latter part of 1976, who with Bob Libman (Libman) had put together a number of "coal mine situations." Slatko and Libman were in a desperate financial position, having exhausted all of their funds waiting for other coal deals to come to fruition.

*506 Slatko and Libman engaged in business through the Southeast Energy Corporation (Southeast). Apparently, although this is not entirely clear from the record, Southeast acted as an adviser or intermediary between the lessor and mining company entities, owned by Walter Childers (Childers), and the Popkin entities. Childers played a dual role in these transactions. In addition to being a lessor sublessor to the Popkin partnerships, he also controlled the entity that was to undertake the actual mining.

Petitioner and Fried paid $ 50,000 to Slatko and Libman, apparently for a package of rights with respect to mining property located in Hancock County, Kentucky. Petitioner and Fried subsequently organized Arnett Mining Company, Ltd., a Florida limited partnership, to take advantage of the opportunity. Realty Marketing Group, Inc. (Realty Marketing), petitioner's wholly owned subsidiary, became the general partner of Arnett. In addition, petitioner was a limited partner in Arnett, investing a $ 37,500 recourse promissory note. The Arnett venture was sold to investors through a "confidential descriptive memorandum" (prospectus). It is unclear to what extent petitioner was involved*507 in setting up the program, i.e., whether he merely bought a "prepackaged" shelter from Libman and Slatko or whether he prepared the prospectus and other materials.

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Bluebook (online)
1988 T.C. Memo. 459, 56 T.C.M. 294, 1988 Tax Ct. Memo LEXIS 503, Counsel Stack Legal Research, https://law.counselstack.com/opinion/popkin-v-commissioner-tax-1988.