Shea v. Commissioner

2000 T.C. Memo. 179, 79 T.C.M. 2112, 2000 Tax Ct. Memo LEXIS 217
CourtUnited States Tax Court
DecidedMay 30, 2000
DocketNo. 2860-96; No. 2861-96
StatusUnpublished

This text of 2000 T.C. Memo. 179 (Shea 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
Shea v. Commissioner, 2000 T.C. Memo. 179, 79 T.C.M. 2112, 2000 Tax Ct. Memo LEXIS 217 (tax 2000).

Opinion

JAMES P. SHEA AND PATRICIA H. SHEA, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent CHRISTOPHER M. AND KIM A. SHEA, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Shea v. Commissioner
No. 2860-96; No. 2861-96
United States Tax Court
T.C. Memo 2000-179; 2000 Tax Ct. Memo LEXIS 217; 79 T.C.M. (CCH) 2112; T.C.M. (RIA) 53907;
May 30, 2000, Filed

*217 Decisions will be entered for respondent.

Joseph Falcone, for petitioners.
Timothy S. Murphy, for respondent.
Gale, Joseph H.

GALE

MEMORANDUM FINDINGS OF FACT AND OPINION

GALE, JUDGE: Respondent determined deficiencies in petitioners' Federal income taxes and penalties as follows:

    JAMES P. SHEA AND PATRICIA H. SHEA, DOCKET NO. 2860-96

                          Penalty

   Year         Deficiency         Sec. 6662  1

     CHRISTOPHER M. AND KIM A. SHEA, DOCKET NO. 2861-96

   Year         Deficiency         Sec. 6662

   ____         __________         _________

   1992          $ 47,945         $ 9,589

Because these cases present common questions of fact and law, they were consolidated for purposes of trial, briefing, and opinion and hereinafter will be referred to in the singular.

The issues for decision are as follows:

     (1) Whether certain*218 expenditures deducted by petitioners on

   Schedules C of their 1992 Federal income tax returns were

   incurred in a trade or business within the meaning of section

   162;

     (2) alternatively, whether petitioners are entitled to

   deduct all or any part of the losses claimed --

        (a) as theft losses arising from a transaction entered

     into for profit under section 165(c)(2),

        (b) as theft losses under section 165(c)(3),

        (c) as capital losses under section 165(f), or

        (d) as business bad debts within the meaning of

     section 166; 2 and

*219      (3) whether petitioners are liable for accuracy-related

   penalties authorized by section 6662?

FINDINGS OF FACT

BACKGROUND

Some of the facts have been stipulated and are so found. We incorporate by this reference the stipulation of facts and attached exhibits.

Petitioners James P. Shea and Patricia H. Shea were married and filed a joint Federal income tax return for the taxable year 1992. 3 At the time their petition was filed, petitioner James P. Shea resided in Troy, Michigan, and petitioner Patricia H. Shea resided in Ludington, Michigan.

Petitioners Christopher M. Shea and Kim A. Shea were married and filed a joint Federal income tax return for the taxable year 1992. At the time their petition was filed, petitioners Christopher M. Shea and Kim A. Shea resided in Rochester, Michigan.

Petitioners James P. Shea (James) and Christopher M. Shea (Christopher) are brothers who, during 1992, worked at a company called PK*220 Contracting. PK Contracting (the company) was in the business of painting lines on roads. James, a vice president of the company, has worked for the company for more than 20 years and is a part owner of the company. As of the trial date, Christopher was the president of the company and ran the company's day-to-day operations. In 1992, Christopher was the general manager, with similar operational responsibility. 4

None of the petitioners were in the trade or business of lending money.

THE RUSSIAN AIRPLANE DEAL

Sometime prior to January 19, 1992, James was introduced to Michael Donnelly by a friend. Donnelly, who claimed to be a retired U.S. Army major general, described a plan in which he and some others would buy Russian airplanes (Ilyushin-72s) for substantially less than their purported fair market value and resell them in the West*221 for $ 5 to $ 8 million per airplane or use them in an overnight air freight and mail business serving Eastern and Central Europe and the Commonwealth of Independent States (the plan). Others allegedly involved in the plan included E. B. Leedy, who claimed to be a retired U.S. Army major general, and Brian Wilcox, a principal in a company called Wilcox Engineering with offices in Great Britain, who was described in promotional materials as the owner of a large joint venture timber operation in Russia (the promoters). The plan, which was supposed to turn a quick and substantial profit, intrigued James.

Sometime prior to January 19, 1992, James went to England and met with the promoters of the plan.

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2000 T.C. Memo. 179, 79 T.C.M. 2112, 2000 Tax Ct. Memo LEXIS 217, Counsel Stack Legal Research, https://law.counselstack.com/opinion/shea-v-commissioner-tax-2000.