Ruckriegel v. Comm'r

2006 T.C. Memo. 78, 91 T.C.M. 1035, 2006 Tax Ct. Memo LEXIS 80
CourtUnited States Tax Court
DecidedApril 18, 2006
DocketNos. 21675-03, 21676-03
StatusUnpublished
Cited by4 cases

This text of 2006 T.C. Memo. 78 (Ruckriegel v. Comm'r) 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
Ruckriegel v. Comm'r, 2006 T.C. Memo. 78, 91 T.C.M. 1035, 2006 Tax Ct. Memo LEXIS 80 (tax 2006).

Opinion

SID PAUL RUCKRIEGEL, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent AL A. RUCKRIEGEL, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Ruckriegel v. Comm'r
Nos. 21675-03, 21676-03
United States Tax Court
T.C. Memo 2006-78; 2006 Tax Ct. Memo LEXIS 80; 91 T.C.M. (CCH) 1035; RIA TM 56485;
April 18, 2006, Filed

*80 Ps were each 50-percent shareholders in an S corporation that

   incurred ordinary losses before and during the years in question

   (1999 and 2000). They were also 50-percent partners in a

   partnership that advanced funds, both directly and indirectly

   (through Ps) to the S corporation in 1997-2000. The issue for

   decision is whether all or a portion of those advances resulted

   in loans from the partnership to Ps and from Ps to the S

   corporation, thereby providing Ps with sufficient bases in the S

   corporation, under sec. 1366(d)(1)(B), I.R.C., to permit each P

   to deduct his 50-percent share of that corporation's ordinary

   losses for the years in question.

   Held: Only the partnership advances through Ps resulted

   corporation, and those advances provided Ps with sufficient

   bases in the S corporation to deduct only a small portion of

   that corporation's 1999 ordinary loss and none of its 2000

   ordinary loss.

Scott W. Dolson and Robert C. Webb, for petitioners.
Denise A. Diloreto and*81 Mark D. Eblen, for respondent.
Halpern, James S.

James S. Halpern

MEMORANDUM FINDINGS OF FACT AND OPINION

HALPERN, Judge: These consolidated cases involve the following determinations by respondent of deficiencies in petitioners' Federal income tax:

   Year       Al A. Ruckriegel      Sid Paul Ruckriegel

   ____       ________________      ___________________

   1999        $ 110,544          $ 107,064

   2000         122,272           124,130

Unless otherwise indicated, all section references are to the Internal Revenue Code in effect for the years in issue, and all Rule references are to the Tax Court Rules of Practice and Procedure. All dollar amounts have been rounded to the nearest dollar.

The issue for decision is whether petitioners had sufficient bases in their S corporation, 1 Sidal Inc. (Sidal), during 1999 and 2000 (the audit years), under section 1366(d)(1)(B), to permit each of them to deduct his pro rata share of Sidal's ordinary losses, to the extent of $ 329,797 2 for 1999 and $ 492,588 for 2000 (sometimes, the basis issue). 3*82

*83 The notices of deficiency contain certain other adjustments that are purely computational. Their resolution solely depends upon our resolution of the basis issue.

FINDINGS OF FACT 4

Some facts have been stipulated and are so found. The stipulation of facts, with attached exhibits, is incorporated by this reference.

At the time the petitions were filed, petitioner Sid Paul Ruckriegel (Sid) resided in Peoria, Illinois, and petitioner Al A. Ruckriegel (Al) resided in Terre Haute, Indiana.

Sidal, Inc.

Sidal, an Indiana corporation, elected S corporation status at the time of its organization in 1993 and retained*84 that status through December 31, 2000. During that period, petitioners were each 50- percent shareholders in Sidal. Sidal operated approximately 50 fast food franchise restaurants throughout Indiana and part of Illinois during the 1997-2000 period. From its incorporation in 1993 through 2000, Sidal operated at a loss. Sid and Al actively managed the Sidal restaurants.

Paulan Properties Partnership

From its formation, in 1993, through December 31, 2000, petitioners were each 50-percent partners of Paulan Properties Partnership (Paulan), a general partnership governed by Indiana law. Paulan owns real property and leases it to several of the restaurants operated by Sidal, as well as to other restaurant operators. Petitioners managed Paulan's properties. From 1997 through 2000, Paulan operated at a profit.

Other Individuals and Entities Related to Paulan and Sidal

Lovella Ruckriegel (Lovella) and Robert Ruckriegel (Robert) are petitioners' parents. Pursuant to the Paulan partnership agreement, control and management of Paulan were vested in Lovella. As a practical matter, however, Lovella's duties consisted of receiving, depositing, and recording incoming cash and writing and recording*85 checks on Paulan's behalf.

Robert and Lovella own the controlling interest in BR Associates, Inc., which provides financial advice, bookkeeping, secretarial, and administrative services to Paulan and Sidal. Larry Freyberger (Freyberger) works for BR Associates, Inc., with the title of controller, and he maintains Sidal's general ledger. His services on behalf of Paulan consist of receiving the check register from Lovella and computerizing the transactions recorded therein, using previously assigned account numbers. He and his staff provide general bookkeeping services for Sidal and provide a trial balance 5 to an outside certified public accountant (C.P.A.) at yearend.

Ralph Michel (Michel) was the outside C.P.A., and he prepared tax returns for Paulan and Sidal for 1997, 1998, and 2000 and for petitioners for 1997-2000.

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Bluebook (online)
2006 T.C. Memo. 78, 91 T.C.M. 1035, 2006 Tax Ct. Memo LEXIS 80, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ruckriegel-v-commr-tax-2006.