Toberman v. Commissioner

2000 T.C. Memo. 221, 80 T.C.M. 81, 2000 Tax Ct. Memo LEXIS 261
CourtUnited States Tax Court
DecidedJuly 24, 2000
DocketNo. 22289-97
StatusUnpublished
Cited by2 cases

This text of 2000 T.C. Memo. 221 (Toberman 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
Toberman v. Commissioner, 2000 T.C. Memo. 221, 80 T.C.M. 81, 2000 Tax Ct. Memo LEXIS 261 (tax 2000).

Opinion

GERALD E. AND NANCY J. TOBERMAN, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Toberman v. Commissioner
No. 22289-97
United States Tax Court
T.C. Memo 2000-221; 2000 Tax Ct. Memo LEXIS 261; 80 T.C.M. (CCH) 81; T.C.M. (RIA) 53959;
July 24, 2000, Filed

*261 Decision will be entered for respondent.

Daniel W. Schermer, for petitioners.
John C. Schmittdiel, for respondent.
Thornton, Michael B.

THORNTON

MEMORANDUM FINDINGS OF FACT AND OPINION

THORNTON, JUDGE: Respondent determined a $ 1,194,503 deficiency in petitioners' 1993 Federal income tax and a $ 238,901 accuracy-related penalty pursuant to section 6662(a). 1

The issues for decision are: (1) Whether the notice of deficiency is entitled to a presumption of correctness; (2) whether petitioners had ordinary unreported income due to forgiveness of indebtedness as determined by respondent; (3) whether petitioners are entitled to a net operating loss carryover in the amount of $ 3,992,234; and (4) whether petitioners are liable for an accuracy- related penalty under section 6662.

FINDINGS OF FACT

*262 The parties have stipulated some of the facts, which are so found. The stipulation of facts is incorporated herein by this reference. When they filed their petition, petitioners were married and resided in Key Biscayne, Florida. References to petitioner are to petitioner husband.

PETITIONER'S BUSINESS HOLDINGS

From 1986 through 1993, petitioner held extensive business interests, including two solely owned S corporations, Bonnevista Terrace, Inc. (Bonnevista), and Castle Towers, Inc. (Castle Towers), which owned and operated mobile home parks in Minnesota and Indiana. Bonnevista was incorporated on June 30, 1966, and elected status as an S corporation on July 20, 1966. Castle Towers was incorporated on May 22, 1979, and elected status as an S corporation on December 29, 1986.

Petitioner also owned and operated marinas on Lake Minnetonka in Minnesota through a number of wholly owned corporations. 2 To acquire the marinas, petitioner personally guaranteed bank loans used to acquire the marinas and pledged the mobile home parks as collateral. Initially, petitioner was successful in the marina business. During a drought in 1988 or 1989, however, water levels at the marinas fell significantly. *263 Boaters began removing their boats from the marinas, and the cash-flow from petitioner's marina business practically stopped.

During the drought, Bonnevista and Castle Towers were generating positive cash-flows from the mobile home parks. These funds were used to help keep the marinas operating temporarily. 3 Eventually, however, petitioner lost both the marinas and the mobile home parks. 4

*264 LOANS FROM BONNEVISTA AND CASTLE TOWERS TO PETITIONER

After filing Form 1120S, U.S. Income Tax Return for an S Corporation, for its 1991 taxable year, Bonnevista filed no subsequent income tax return. 5 The balance sheet attached to the 1991 Form 1120S reflects loans to petitioner of $ 2,148,481 as of the beginning of the tax year and $ 2,244,164 as of yearend.

After filing Form 1120S for its 1990 taxable year, Castle Towers filed no subsequent return. 6 The balance sheet attached to its 1990 Form 1120S reflects yearend loans to petitioner of $ 633,329.

*265 PETITIONER'S OWNERSHIP INTEREST IN FANTASTIC FOODS

In 1993, petitioner was president and majority stockholder of Fantastic Foods, Inc., which holds exclusive rights to Dairy Queen franchises in two counties in Florida. The corporation has several affiliated corporations also known as Fantastic Foods. The 1992 Federal corporate income tax return of one of those affiliated corporations, Fantastic Foods, Inc. (Delaware), indicates that it is wholly owned by petitioners' son, William Toberman, and that as of the end of 1992, the corporation owed petitioner $ 457,072.

BANKRUPTCY PROCEEDING

In 1990, petitioner filed for relief under chapter 11 of the United States Bankruptcy Code. On May 21, 1991, petitioner's bankruptcy case was dismissed for petitioner's failure to file a disclosure statement and plan of reorganization as directed by the United States Bankruptcy Court.

JUDGMENTS AGAINST PETITIONER

Before 1993, a number of judgments were entered against petitioner in favor of various creditors.

IRS COLLECTION INFORMATION STATEMENT

In 1993, petitioner submitted to the Internal Revenue Service (IRS) Form 433-A, Collection Information Statement for Individuals (CIS), signed and verified*266 by petitioner on March 3, 1993, as true, correct, and complete. On the CIS, petitioner reported that he had a net worth of approximately $ 389,650. 7 On the CIS, petitioner reported no outstanding loans from either Bonnevista or Castle Towers. On the CIS, petitioner disclosed neither his ownership interests in Fantastic Foods nor any receivables from Fantastic Foods (Delaware). Petitioner reported on the CIS, under the category "Other information relating to your financial condition", that there were no court proceedings or repossessions.

PETITIONER'S CLAIMED NET OPERATING LOSS DEDUCTION

For taxable year 1993, petitioners claimed a net operating loss deduction of $ 3,992,234, comprising net operating loss carryovers from prior years in the following amounts:

*267

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2000 T.C. Memo. 221, 80 T.C.M. 81, 2000 Tax Ct. Memo LEXIS 261, Counsel Stack Legal Research, https://law.counselstack.com/opinion/toberman-v-commissioner-tax-2000.