Robert Remuzzi Rachael Remuzzi v. Commissioner of Internal Revenue

867 F.2d 609, 1989 U.S. App. LEXIS 765, 1989 WL 5431
CourtCourt of Appeals for the Fourth Circuit
DecidedJanuary 17, 1989
Docket88-2514
StatusUnpublished

This text of 867 F.2d 609 (Robert Remuzzi Rachael Remuzzi v. Commissioner of Internal Revenue) is published on Counsel Stack Legal Research, covering Court of Appeals for the Fourth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Robert Remuzzi Rachael Remuzzi v. Commissioner of Internal Revenue, 867 F.2d 609, 1989 U.S. App. LEXIS 765, 1989 WL 5431 (4th Cir. 1989).

Opinion

867 F.2d 609
Unpublished Disposition

NOTICE: Fourth Circuit I.O.P. 36.6 states that citation of unpublished dispositions is disfavored except for establishing res judicata, estoppel, or the law of the case and requires service of copies of cited unpublished dispositions of the Fourth Circuit.
Robert REMUZZI; Rachael Remuzzi, Petitioners-Appellants,
v.
COMMISSIONER OF INTERNAL REVENUE, Respondent-Appellee.

No. 88-2514.

United States Court of Appeals, Fourth Circuit.

Argued: Nov. 2, 1988.
Decided: Jan. 17, 1989.

F. Brook Voght (Martin Scully, Jr., Miller & Chevalier, Chartered, on brief), for appellants.

Charles Bricken (William S. Rose, Jr., Assistant Attorney General, Gary R. Allen, Richard Farber, Tax Division, Department of Justice, on brief), for appellee.

Before HARRISON L. WINTER, Chief Judge, and WIDENER and MURNAGHAN, Circuit Judges.

The Remuzzis appeal from the Tax Court's decision holding them liable for tax deficiencies of $10,722.93 in 1980 and $15,857.03 in 1981. They filed joint returns in 1980 and 1981 claiming certain business deductions for expenses associated with their cattle farm. Dr. Robert Remuzzi is an orthopedic surgeon; his wife Rachael Remuzzi is a housewife. They and their five children reside in Leesburg, Virginia on a 74 acre farm named Fairleigh Farm.

The Remuzzis became interested in the amenities of farm living shortly after moving to Leesburg in 1974, where Dr. Remuzzi began his medical practice. In early 1976, Dr. Remuzzi treated Llewellyn Payne ("Payne"), who was then a tenant on a farm near Middleburg, Virginia. After discussions about Dr. Remuzzi's desire to live on a farm, he and Payne made the following agreement. Dr. Remuzzi lent Payne $15,000 and Payne agreed to become a tenant on Dr. Remuzzi's farm when he purchased a suitable property. Payne was to repay his loan by giving Dr. Remuzzi half of the calves born to the herd until the fair market value of the calves equaled the amount of the loan.

Dr. Remuzzi purchased the farm property in Leesburg in May of 1978 for $360,000. It consisted of 35 acres of open pasture and 40 acres of woods and included a main house, a tenant house and various other farm buildings on five of the acres. The property was being sold to avoid foreclosure by the Federal Land Bank. The property had not been operated as a farm for about ten years and was in a state of disrepair.

Payne agreed to move on the property and help repair and maintain it in return for the right to live in the tenant house rent free and the right to graze his own small herd of cattle on the property. After the $15,000 loan was paid off, Dr. Remuzzi and Payne were to share equally in the profits from cattle raising.

The Remuzzis moved to the farm in August of 1978. Payne moved to the farm in November of 1978. He brought his Angus herd (about 30 cattle), a tractor, a bushhog, and a small combine. For about a year, Payne mended fences and bushhogged the pasture land. However, during the spring and summer of 1979, Payne moved his herd off the farm because of insufficient closed-in pastureland. The cattle returned during the fall of 1979 after more fences were mended during the summer. By early 1980, Payne began to behave strangely and irresponsibly, performing less and less work on the farm. This prompted Dr. Remuzzi to demand rent of $200 per month for the tenant house. On July 1, 1980, Dr. Remuzzi had Payne sign a promissory note for the $15,000, the money which Dr. Remuzzi had originally lent to Payne.

During the summer of 1980, Dr. Remuzzi hired some college students to work on the farm and he, himself, also mended fences to enclose pastureland for the five head of cattle which he owned. His ten-year old son fed the five head of cattle each day. Dr. Remuzzi's wife performed no farm-related work as she was pregnant. By the fall of 1980, Payne could no longer perform his work.1 Payne's property, including his car, his tractor, and his herd, was repossessed by the local sheriff.

In the spring of 1981, Dr. Remuzzi obtained a judgment for the unpaid balance of $13,800 which Payne still owed him on the loan. The judgment has never been satisfied.

The following accounting information shows taxpayers' revenues, expenses and losses associated with Fairleigh Farm from 1978 to 1982:

       		Expenses
        --------------------------------               Net Income
Year    Revenues    Interest     Taxes      Other        (Loss)
-------------------------------------------------------------------
1978    $1,200.00   $8,192.20        $   $8,713.18   ($15,705.38)
1979       260.00   14,837.00     705.00   22,957.00    (38,239.00)
1980     1,200.00   15,363.00     508.00   20,416.00    (35,087.00)
1981     2,715.00   15,095.00     156.00   34,275.00    (46,811.00)
1982       360.00   11,216.15   2,212.43   10,196.16    (23,264.14)
        ---------  ----------  ---------  ----------  -------------
Totals  $5,735.60  $64,703.35  $3,581.43  $96,557.34  ($159,106.52)
        ---------  ----------  ---------  ----------  -------------
        ---------  ----------  ---------  ----------  -------------

The $34,275 of "other expenses" for 1981 included taxpayers' $13,800.00 bad debt from Payne. The revenues consisted of the following items:

           Rent From             Fire             Hay &
Year    Tenant House   Timber    Wood   Cattle    Other      Total
------------------------------------------------------------------
1978       $1,200.00      $     $      $      $  $1,200.00
1979                 260.00                         260.00
1980        1,200.00                              1,200.00
1981        1,800.00          50.00   865.00          2,715.00
1982                                     360.60     360.60
        ------------  -------  ------  -------  -------  ---------
Totals     $4,200.00  $260.00  $50.00  $865.00  $360.60  $5,735.60
        ------------  -------  ------  -------  -------  ---------
        ------------  -------  ------  -------  -------  ---------

The $865.00 of revenue from cattle sales resulted from the sales of two sides of beef, one of which was purchased by the Remuzzis themselves. The $1,200.00 in 1980 and the $1,800.00 in 1982 from rental of the tenant house was paid by Payne.

During the same period, Dr. Remuzzi reported the following earnings from his medical practice:

Year     Earnings
1978  $124,368.49
1978   138,889.00
1979   160,056.00
1980   190,661.00
1981   190,661.00
1982   218,272.29

The first question for discussion is whether the Tax Court erred when it found that the Remuzzis were not engaged in farming with the requisite purpose of making a profit.

Taxpayers may take deductions for ordinary and necessary expenses paid or incurred in carrying on a trade or business under 26 U.S.C. Sec. 162(a) or for expenses incurred "for the production or collection of income" under 26 U.S.C. Sec. 212. Out of concern that deductions of that nature be taken for legitimate businesses2 and not for personal pleasure or to generate losses to shelter unrelated income, Congress later passed 26 U.S.C. Sec.

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867 F.2d 609, 1989 U.S. App. LEXIS 765, 1989 WL 5431, Counsel Stack Legal Research, https://law.counselstack.com/opinion/robert-remuzzi-rachael-remuzzi-v-commissioner-of-i-ca4-1989.