Press v. Commissioner

1986 T.C. Memo. 398, 52 T.C.M. 285, 1986 Tax Ct. Memo LEXIS 216
CourtUnited States Tax Court
DecidedAugust 25, 1986
DocketDocket No. 39273-84.
StatusUnpublished

This text of 1986 T.C. Memo. 398 (Press 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
Press v. Commissioner, 1986 T.C. Memo. 398, 52 T.C.M. 285, 1986 Tax Ct. Memo LEXIS 216 (tax 1986).

Opinion

J. JEFFREY PRESS AND CAROL PRESS, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Press v. Commissioner
Docket No. 39273-84.
United States Tax Court
T.C. Memo 1986-398; 1986 Tax Ct. Memo LEXIS 216; 52 T.C.M. (CCH) 285; T.C.M. (RIA) 86398;
August 25, 1986.
J. Jeffrey Press, pro se.
William S. Garofalo, for the respondent.

WILLIAMS

MEMORANDUM OPINION

WILLIAMS, Judge: The Commissioner determined a deficiency in*217 petitioners' Federal income tax for the taxable year 1976 in the amount of $3,682.00. The sole issue this Court must decide is whether respondent issued the statutory notice of deficiency to petitioners after the applicable statute of limitations had expired.

The facts of this case have been fully stipulated pursuant to Rule 122, Tax Court Rules of Practice and Procedure, and are so found. Petitioners resided at Upper Montclair, New Jersey at the time the petition in this case was filed.

Petitioners were members of a joint venture, the Little Mud Pond Swamp Joint Venture ("Joint Venture"). The organizational agreement executed by petitioners on October 19, 1976 stated that the members of Joint Venture would own, as tenants in common, a leasehold interest in land in New Jersey to mine peat. Petitioners acquired a .24% interest in Joint Venture. 1

The members of Joint Venture each contributed capital to*218 the venture. Losses were allocated to the members in proportion to their respective capital contributions to the venture. Profits were allocated to the members in accordance with a schedule required to be set forth in the executed organizational agreement. Petitioners did not take production in kind or contract to sell on an individual basis their share of any production.

Joint Venture appointed Green Gro of Greenwich, Inc. (Green Gro), a member of Joint Venture, as its agent. Green Gro, as lessee, executed a mining lease with Euro-Continental Investments, Ltd. on October 19, 1976. The lease granted to Green Gro the exclusive right to mine peat from a 30-acre plot of land in Sussex County, New Jersey.

Frank J. Pitassi, president of Green Gro, submitted a letter to respondent on October 19, 1976 stating "We hereby elect under Section 761d to be excluded from Part Subchapter K." Joint Venture was not identified in the letter. The letter listed some of the investors in Joint Venture but did not include petitioners. Joint Venture did not file a Form 1065, U.S. Partnership Return of Income.

On March 15, 1980 petitioners executed a Form 872-A, Special Consent to Extend the Time*219 to Assess Tax, for petitioners' Federal income tax for the taxable year 1976. The agreement to extend the statute of limitations was limited in scope as follows:

Any assessment of an increase in the above tax for the taxable period(s) covered by this agreement is to be limited to the amount resulting from any adjustment to: (a) the taxpayer's distributive share of any item of income, gain, loss, deduction, or credit of, or distribution from any partnership (or any organization treated by the taxpayer as a partnership on the taxpayer's tax return); and (b) the tax basis of the taxpayer's interest(s) in such partnership(s) or organization(s) treated by the taxpayer as a partnership, including any consequential changes to other items based on such adjustment.

Respondent's notice of deficiency in this case was mailed on August 22, 1984. The deficiency was based on respondent's determination that petitioners' distributive share of the claimed $4,044,000.00 loss from Joint Venture, reported on their 1976 Feberal income tax return as $9,706.20, was zero.

Petitioners do not dispute the deficiency but assert that assessment of the tax is barred by the statute of limitations. Arguing*220 that the Form 872-A executed by the parties extended the statute of limitations only with respect to partnership items or items in connection with organizations treated as partnerships on petitioners' 1976 return, petitioners contend that Joint Venture was not a partnership and was not treated as such by petitioners on their return. Petitioners conclude that the loss from Joint Venture was not an "* * * item of * * * loss * * * from any partnership" within the meaning of the agreement of the parties as set forth in the Form 872-A. Consequently, in petitioners' view, respondent's notice of deficiency, determining an adjustment to the loss claimed from Joint Venture, was untimely.

In general, respondent must issue a notice of deficiency in Federal income tax within three years after a taxpayer's return has been filed. Section 6501(a). 2 The bar of the statute of limitations is an affirmative defense, on which petitioner bears the burden of persuasion and the initial burden of going forward with the evidence. Adler v. Commissioner,85 T.C. 535 (1985).

*221 Petitioners' joint Federal income tax return for the taxable year ended December 31, 1976, dated April 14, 1977, was deemed to have been filed on April 15, 1977. Section 6501(b). Respondent's notice of deficiency with respect to petitioners' 1976 return was mailed to petitioners on August 22, 1984, more than three years after petitioners' 1976 return was filed.

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Cite This Page — Counsel Stack

Bluebook (online)
1986 T.C. Memo. 398, 52 T.C.M. 285, 1986 Tax Ct. Memo LEXIS 216, Counsel Stack Legal Research, https://law.counselstack.com/opinion/press-v-commissioner-tax-1986.