Tybus v. Commissioner

1989 T.C. Memo. 309, 57 T.C.M. 796, 1989 Tax Ct. Memo LEXIS 296
United States Tax Court·Decided June 26, 1989·No. Docket Nos. 4121-86; 1750-87.·Unpublished·Cited by 6 cases

Opinion

EDWARD J. and RUTH G. TYBUS, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Tybus v. Commissioner
Docket Nos. 4121-86; 1750-87.
United States Tax Court
T.C. Memo 1989-309; 1989 Tax Ct. Memo LEXIS 296; 57 T.C.M. (CCH) 796; T.C.M. (RIA) 89309;
June 26, 1989.
Raymond M. Pezzo and James P. Constantino, for the petitioners.
Gerald A. Thorpe, for the respondent.

POWELL

MEMORANDUM OPINION

POWELL, Special Trial Judge:1 Respondent determined deficiencies in petitioners' 1983 and 1984 Federal income tax liabilities in the amounts of $ 2,285.99 and $ 1,660.00, respectively. 2 The issues for decision are: (1) whether stock options traded by Edward J. Tybus (petitioner) were capital assets under sections 1221 and 1234; 3 (2) whether petitioner's stock option trading during 1983 and 1984 qualified as a trade or business under section 162; and (3) whether petitioner substantiated his 1984 investment interest deduction in the amount of $ 15,276.00.

*299 FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts and attached exhibits are incorporated herein. Petitioners resided in Red Hook, New York when they filed their petition.

From 1980 through 1984, petitioner reported income (losses) from the following sources:

Bar/Rental
YearOptionsStockDividendsInterestHotelProperty
1980$   19,203 $ (2,955)$ 29,087$ 4,885$  6,113$   (157)
1981(220,279)(3,000)20,4931,0572,249(1,898)
1982491,977 60,103 11,6308771,0234,242 
1983(991,040)4 45,776 3,8263,82213,9329,541 
1984(106,937)6,398 4,06179623,409-0- 
Total$ (807,076)$ 106,322 $ 69,097$ 11,437$ 46,726$ 11,728 

Option Trading

The issues in dispute center on petitioner's stock option trading. Generally, an option gives the owner the right to buy ("call") *300 or sell ("put") the underlying shares of stock at a fixed price within a specified period of time.

Petitioner testified that he began trading options in 1980 because his hotel business was not as lucrative as he had anticipated, and therefore "it was incumbent upon me to find a more dependable source of income." He had purchased and sold stocks and bonds since 1937, and by 1983 had amassed an investment portfolio valued at approximately $ 280,000. He believed that he could utilize his knowledge of the stock market in his option activities.

From 1980 through 1984, petitioner reported option trading as follows:

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Tybus v. Commissioner, 1989 T.C. Memo. 309, 57 T.C.M. 796, 1989 Tax Ct. Memo LEXIS 296 (tax 1989).

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