Ward v. Commissioner

1992 T.C. Memo. 640, 64 T.C.M. 1222, 1992 Tax Ct. Memo LEXIS 672
United States Tax Court·Decided November 3, 1992·No. Docket No. 15283-90·Unpublished

Opinion

WILLIAM S. WARD AND MARY ELIZABETH WARD, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Ward v. Commissioner
Docket No. 15283-90
United States Tax Court
T.C. Memo 1992-640; 1992 Tax Ct. Memo LEXIS 672; 64 T.C.M. (CCH) 1222; T.C.M. (RIA) 92640;
November 3, 1992, Filed

Decision will be entered for respondent.

For Petitioners: Mark E. Gammons.
For Respondent: Dawn M. Krause.
GALLOWAY

GALLOWAY

MEMORANDUM OPINION

GALLOWAY, Special Trial Judge: This case was heard pursuant to the provisions of section 7443A(b) and Rules 180, 181, and 182. All section references are to the Internal Revenue Code in effect for the year in issue. All Rule references are to the Tax Court Rules of Practice and Procedure.

Respondent determined a deficiency in petitioners' income tax, and additions to tax as follows:

Additions to Tax
TaxableSectionSectionSection
YearDeficiency6653(a)(1)(A)6653(a)(1)(B)6661(a)
1986$ 6,626.00$ 331.001$ 1,657.00

After concessions by petitioners, the issues for decision are: (1) Whether petitioners are entitled to deduct the amount of $ 6,750 as a loss in*673 1986 under section 165; and (2) whether petitioners are liable for additions to tax pursuant to sections 6653(a)(1)(A) and (B) and 6661, and for increased interest pursuant to section 6621(c) in the year 1986.

Some of the facts have been stipulated and are so found. The stipulation of facts and accompanying exhibits are incorporated herein by this reference. Petitioners resided in Wooster, Ohio, when their petition was filed with this Court.

1. Section 165 Loss

a. Background

During 1986, William S. Ward (petitioner), was an agency manager for State Farm Insurance Group. Mrs. Ward was a registered nurse.

Petitioner's accountants in 1986 were Thomas Graham and his associate Ronald Berardinis, who prepared petitioner's 1986, 1987, and 1988 returns. Mr. Graham and Mr. Berardinis also were chartered (sales) representatives of Structured Shelters, Inc. (SSI), which had been organized in 1979 for the purpose of marketing tax-advantaged investments on a nationwide basis to interested investors. See Rybak v. Commissioner, 91 T.C. 524, 525-526, 562 (1988). 1

*674 In 1986, petitioner's accountants were soliciting clients to invest in a venture described by the parties as the "Bingo Leasing promotion". Upon the recommendation of petitioner's accountants, petitioner invested $ 6,750 in the Bingo Leasing promotion by paying $ 6,750 cash to Fedco Trust on May 27, 1986.

Petitioner, on a separate Schedule C attached to his 1986 return, designated his business as "Investing". Petitioner reported no gross income on the Schedule C, and a loss of $ 15,382, which included the following expenses: Advertising, $ 8,000; legal and professional services, $ 632; and lease expense of $ 6,750. On Schedule A of his 1986 return, petitioner deducted a financial planning fee totaling $ 665. Petitioner also claimed a 1986 research and development business credit amounting to $ 84.

In the explanation of adjustments attached to her notice of deficiency dated April 9, 1990, respondent stated:

It is determined that the deductions claimed on Schedule C of your 1986 income tax return, in the total amount of $ 15,382.00, with respect to Bingo Game Printing, are not allowable since you have not established that the activity was engaged in for profit, constituted a*675 trade or business, or involved property held for the production of income

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Ward v. Commissioner, 1992 T.C. Memo. 640, 64 T.C.M. 1222, 1992 Tax Ct. Memo LEXIS 672 (tax 1992).

1992 T.C. Memo. 640 (Ward v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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