RYAN v. COMMISSIONER

2005 T.C. Summary Opinion 118, 2005 Tax Ct. Summary LEXIS 147
CourtUnited States Tax Court
DecidedAugust 10, 2005
DocketNo. 13239-02S
StatusUnpublished

This text of 2005 T.C. Summary Opinion 118 (RYAN 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.

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RYAN v. COMMISSIONER, 2005 T.C. Summary Opinion 118, 2005 Tax Ct. Summary LEXIS 147 (tax 2005).

Opinion

N. THOMAS RYAN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
RYAN v. COMMISSIONER
No. 13239-02S
United States Tax Court
T.C. Summary Opinion 2005-118; 2005 Tax Ct. Summary LEXIS 147;
August 10, 2005, Filed

*147 PURSUANT TO INTERNAL REVENUE CODE SECTION 7463(b), THIS OPINION MAY NOT BE TREATED AS PRECEDENT FOR ANY OTHER CASE.

N. Thomas Ryan, Pro se.
Francis Mucciolo and Michael D. Zima, for respondent.
Panuthos, Peter J.

PETER J. PANUTHOS

PANUTHOS, Chief Special Trial Judge: This case was heard pursuant to the provisions of section 7463 of the Internal Revenue Code in effect when the petition was filed. The decision to be entered is not reviewable by any other court, and this opinion should not be cited as authority. Unless otherwise indicated, all subsequent section references are to the Internal Revenue Code in effect at relevant times, and all Rule references are to the Tax Court Rules of Practice and Procedure.

Respondent determined deficiencies in petitioner's Federal income taxes and additions to tax under section 6651(a)(1) and (2) and section 6654(a), as follows:

Additions to Tax
YearDeficiencySec. 6651(a)(1)1Sec. 6651(a)(2) Sec. 6654(a)
1997$ 37,341$ 8,176--$ 1,629
199820,8754,696--664
199927,5626,201--967

*148 After concessions 1 by the parties, the issues for decision are: (1) Whether petitioner's horse training and breeding activity during 1997, 1998, and 1999 was an activity not engaged in for profit within the meaning of section 183; (2) whether petitioner is entitled to joint filing status for married individuals under section 1(a)(1) for 1997, 1998, and 1999; (3) whether petitioner is entitled to long-term capital gain treatment on the 1997 sale of approximately 700 shares of securities; and (4) whether petitioner received nonemployee compensation of $ 10,800 in 1997.

Some of the facts have been stipulated, and they are so found. The stipulation of facts, the stipulation of settled issues, and the attached exhibits are incorporated by this reference. Petitioner*149 resided in Brooksville, Florida, at the time the petition was filed.

At the time the notice of deficiency was issued, petitioner had not filed Federal income tax returns for 1997, 1998, and 1999. Respondent determined: (1) That petitioner received wage income for each tax year in issue; (2) that petitioner was entitled to a standard deduction for married filing separate status; (3) that petitioner received income on the sale of certain securities in 1997 which is taxable as short-term capital gain rates; and (4) that petitioner received nonemployee income in 1997.

Petitioner does not dispute that he received wage income in the amounts determined by respondent. Petitioner does, however, dispute the filing status, the characterization of capital gain income, and a portion of the omitted nonemployee income. Immediately before trial, petitioner submitted penciled returns for the years in issue in which he claimed the following losses for a horse breeding activity:

Horse Breeding Activity

Gross
YearIncomeExpenses1Loss
1997--$ 28,884($ 28,884)
1998--31,878(31,878)
1999--33,131(33,131)

*150

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