Shaver v. Commissioner

1993 T.C. Memo. 619, 66 T.C.M. 1766, 1993 Tax Ct. Memo LEXIS 626
United States Tax Court·Decided December 23, 1993·No. Docket No. 3656-92·Unpublished

Opinion

ARNOLD W. SHAVER, JR. AND LOUANN SHAVER, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Shaver v. Commissioner
Docket No. 3656-92
United States Tax Court
T.C. Memo 1993-619; 1993 Tax Ct. Memo LEXIS 626; 66 T.C.M. (CCH) 1766;
December 23, 1993, Filed
*626 Pro se: Arnold W. Shaver, Jr. and Louann Shaver.
For respondent: Russell A. Acree III.
SWIFT

SWIFT

MEMORANDUM FINDINGS OF FACT AND OPINION

SWIFT, Judge: Respondent determined deficiencies in petitioners' joint Federal income taxes and additions to tax as follows:

Additions to Tax
Sec.Sec.Sec.
YearDeficiency6651(a)(1)6653(a)(1)6653(a)(2)
1985$ 11,058$    --$ 553 *
198719,5581,760----
198893,356------
Additions to Tax
Sec. Sec. Sec. 
Year6653(a)(1)(A)6653(a)(1)(B)6661
1985$    ----$     --
1987978 *4,676
19884,668--23,339
* 50 percent of the interest due on the portion of the
underpayment attributable to negligence.

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.

After settlement, the primary issues remaining for decision are: (1) The amount of Arnold W. Shaver, Jr.'s (petitioner) tax basis in the stock and indebtedness of Fotostop, Inc. (Fotostop), a small business corporation (S corporation); (2) whether petitioner is*627 entitled to bad debt deductions with respect to loans made to Fotostop; and (3) whether petitioners are entitled to a deduction with respect to a loss incurred on the sale of their personal residence.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. Petitioners resided in San Antonio, Texas, at the time the petition was filed.

On July 6, 1982, Fotostop was incorporated in the State of Oklahoma. Fotostop was the corporate general partner of a limited partnership named Fotostop Tulsa, Ltd. (the partnership), which partnership was engaged in owning and operating 1-hour photographic film developing and printing laboratories in Tulsa, Oklahoma.

From the time of Fotostop's incorporation in 1982, until the end of its 1988 taxable year, Fotostop's shareholders elected to have Fotostop treated as an S corporation. Fotostop's taxable years began on February 1 and ended on January 31 of each year, with the exception of its last 2 taxable years which were short taxable years which began respectively on February 1, 1987, and ended on December 31, 1987, and on January 1, 1988, and ended on August 31, 1988.

Between July 6, 1982, and January 31, 1984, petitioner owned*628 18.996 percent of the outstanding stock of Fotostop. Sometime late in 1984 or early 1985, petitioner's stock interest in Fotostop increased to 33.33 percent. The total cash investment of all of the shareholders in Fotostop was $ 4,255. Petitioner, however, apparently invested no cash in Fotostop, and petitioner's tax basis in his stock in Fotostop therefore was zero.

In October of 1983, petitioner made a personal guarantee of a $ 96,000 loan obtained by Fotostop from the United Bank of Texas.

During the taxable years indicated, petitioner made cash loans to Fotostop, as follows:

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Shaver v. Commissioner, 1993 T.C. Memo. 619, 66 T.C.M. 1766, 1993 Tax Ct. Memo LEXIS 626 (tax 1993).

1993 T.C. Memo. 619 (Shaver v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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