Surridge v. Commissioner

1998 T.C. Memo. 304, 76 T.C.M. 320, 1998 Tax Ct. Memo LEXIS 302
United States Tax Court·Decided August 20, 1998·No. Tax Ct. Dkt. No. 10495-97. Docket No. 10496-97·Unpublished·Cited by 6 cases

Opinion

JACK F. AND VIRGINIA SURRIDGE, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent. JACK F. SURRIDGE, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Surridge v. Commissioner
Tax Ct. Dkt. No. 10495-97. Docket No. 10496-97
United States Tax Court
T.C. Memo 1998-304; 1998 Tax Ct. Memo LEXIS 302; 76 T.C.M. (CCH) 320;
August 20, 1998, Filed

*302 Decisions will be entered under Rule 155.

Julie L. Payne, for respondent.
Virginia Surridge, pro se.
LARO, JUDGE.

LARO

MEMORANDUM*303 FINDINGS OF FACT AND OPINION

LARO, JUDGE: Jack F. and Virginia Surridge (petitioners) 1 petitioned the Court to redetermine respondent's determination of the following deficiencies and additions to tax:

Additions to Tax
YearDeficiencySec. 6651(a)(1)Sec. 6654
1990$ 9,672$ 2,418--
19914,6151,154$ 263
199211,2162,804492
19931,35433955
19942,48662280

Respondent reflected the determinations for 1990 in a notice of deficiency issued to petitioners on February 20, 1997. Respondent reflected the other determinations in a notice of deficiency issued to Mr. Surridge on the same date.

We must decide:

1. Whether petitioners' Arabian horse racing, breeding, and sales activity was an activity "not engaged in for profit" within the meaning of section 183. We hold it was.

2. Whether petitioners are liable for the additions to tax determined by respondent under section 6651(a)(1). We hold they are.

3. Whether petitioners are liable for the additions *304 to tax determined by respondent under section 6654. We hold they are.

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

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulations of fact and the exhibits submitted therewith are incorporated herein by this reference. Petitioners are husband and wife, and they filed joint Federal income tax returns for all years in issue. They resided in Maple Valley, Washington, when they petitioned the Court. Ms. Surridge is a full-time insurance agent who works as a sole proprietor. Mr. Surridge is a retired, career serviceman who is involved full-time on the family farm.

Ms. Surridge purchased her first horse in 1959 or 1960. She began raising Arabian horses approximately 10 years later with the intent to show them. She abandoned this intent by the early 1970's, opting to breed and raise Arabian horses with an intent to race them. She raced two Arabian horses in or about 1974, and she did not race any more horses until approximately 1984. *305 Mr. Surridge began participating in Ms. Surridge's horse-related activities in 1976. Neither he nor she is a State certified or licensed horse trainer.

From 1990 through 1994, petitioners maintained a stable of approximately 25 horses, four of which were capable of racing. The remaining horses were broodmares, stallions, geldings, and horses too young or physically unable to race. During the subject years, the number of races in which the four horses participated, and the amount of prize money that each horse won, are as follows:

HorseNumber of RacesPrize Money Awarded
Bey El Shaw4$ 100
Sir Latigo6500
Parkwood Barbaado152,237

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Surridge v. Commissioner, 1998 T.C. Memo. 304, 76 T.C.M. 320, 1998 Tax Ct. Memo LEXIS 302 (tax 1998).

1998 T.C. Memo. 304 (Surridge v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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