Warden v. Commissioner

1995 T.C. Memo. 176, 69 T.C.M. 2432, 1995 Tax Ct. Memo LEXIS 170
CourtUnited States Tax Court
DecidedApril 17, 1995
DocketDocket No. 4829-92
StatusUnpublished
Cited by21 cases

This text of 1995 T.C. Memo. 176 (Warden 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
Warden v. Commissioner, 1995 T.C. Memo. 176, 69 T.C.M. 2432, 1995 Tax Ct. Memo LEXIS 170 (tax 1995).

Opinion

LEW WARDEN AND NADJA J. WARDEN, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Warden v. Commissioner
Docket No. 4829-92
United States Tax Court
T.C. Memo 1995-176; 1995 Tax Ct. Memo LEXIS 170; 69 T.C.M. (CCH) 2432;
April 17, 1995, Filed

*170 Decision will be entered under Rule 155.

For petitioners: Lew Warden.
For respondent: Debra K. Estrem.
RUWE

RUWE

MEMORANDUM FINDINGS OF FACTS AND OPINION

RUWE, Judge: Respondent determined deficiencies in petitioners' Federal income taxes and additions to tax as follows:

Addition to Tax 
YearDeficiencySec. 6662(b)(2) 
1986$ 1,338-- 
198928,344$ 4,725

After concessions, 1 the primary issue for decision is whether petitioners' yacht-related activities were engaged in for profit within the meaning of section 183. 2 Subsidiary issues are: (1) Whether petitioners properly deferred recognition of a gain pursuant to section 1033; (2) whether petitioners are entitled to offset 1989 income by net operating losses that were allegedly incurred in 1987 and 1988; and (3) whether petitioners are liable for the addition to tax for substantial understatement of income tax pursuant to section 6662(b)(2) for the taxable year 1989.

*171 FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The first stipulation of facts, second stipulation of facts, and attached exhibits are incorporated herein by this reference. Petitioners resided in Castro Valley, California, when they filed their petition.

Beginning in 1953, through the years at issue, petitioner Lew Warden practiced law as a sole proprietor in Alameda County, California. Petitioner Nadja Warden 3 worked in her husband's law office keeping the books, but she received no pay or benefits. She held no other job. Mr. Warden retired from his law practice in 1993.

In 1974, petitioners acquired a one-sixth interest in an abandoned tennis and swim club in Pleasanton, California, from Mr. Warden's client, Julius Kahn. The remaining five-sixths of the property was held by Julius and his two brothers. As a result of controversies between the three brothers, the property*172 had fallen into disrepair, and petitioners and Julius planned to reconstruct and operate the property as a recreational facility. Petitioners hoped to retire from the law practice and spend their retirement years working in the "congenial and pleasant surroundings" of a recreational club. Petitioners moved onto the property and, until about 1980, attempted to repair it. However, the property never operated as a tennis and swim club.

Around 1980, the Kahn brothers contemplated partitioning the property. Ensuing litigation resulted in a 1980 judgment by the Alameda County Superior Court, which ordered the property sold and the proceeds partitioned between petitioners and the Kahn brothers. The property was sold in 1980 for $ 316,000; petitioners received $ 183,642.15 of the sales proceeds, and the remainder was distributed to the Kahn brothers. In 1981, petitioners appealed from the partition judgment. In 1984, while the appeal was still pending, petitioners filed suit against various parties involved in the partition sale, alleging that the sale was fraudulent. The appeal and lawsuits alleging a fraudulent sale continued until 1989; at that time, all petitioners' claims regarding*173 the Pleasanton property were settled for $ 170,000. Petitioners thus received $ 353,642.15 from the disposition of the Pleasanton property ($ 170,000 plus prior payments of $ 183,642.15).

For tax purposes, petitioners assumed that the use of the Pleasanton property was 50 percent business and 50 percent residential, and treated the disposition of the property as having been commenced in 1981 and concluded in 1989. On their 1989 Federal income tax return, petitioners treated the business portion of the gain received from the Pleasanton property ($ 85,000) as "rolled over" into the cost of a yacht they had previously purchased in 1986.

In March 1986, petitioners ordered a 1986 Tayana model 55-foot, sailing yacht, with a 120-horsepower, freshwater-cooled diesel engine. It was to be built in Taiwan by Ta Yang Yacht Building Co. and sold through Windships, Inc., of Oakland, California (Windships). Petitioners prepared detailed specifications for the construction of the yacht, which were attached to the purchase agreement with Windships. The name of the yacht was Rocking Chair. Rocking Chair was spacious, nicely equipped, and furnished. It had a saloon, a galley, two bathrooms,

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Bluebook (online)
1995 T.C. Memo. 176, 69 T.C.M. 2432, 1995 Tax Ct. Memo LEXIS 170, Counsel Stack Legal Research, https://law.counselstack.com/opinion/warden-v-commissioner-tax-1995.