Wendland v. Commissioner

79 T.C. No. 22, 79 T.C. 355, 1982 U.S. Tax Ct. LEXIS 48
CourtUnited States Tax Court
DecidedAugust 23, 1982
DocketDocket Nos. 5708-80, 5709-80, 5710-80, 5711-80, 5712-80, 5769-80, 5771-80, 5772-80, 5773-80, 9376-80
StatusPublished
Cited by79 cases

This text of 79 T.C. No. 22 (Wendland 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
Wendland v. Commissioner, 79 T.C. No. 22, 79 T.C. 355, 1982 U.S. Tax Ct. LEXIS 48 (tax 1982).

Opinion

Sterrett, Judge:

By statutory notices dated March 24, 1980,2 respondent determined deficiencies in petitioners’ income taxes for the taxable years ended December 31, 1973, December 31,1976, and December 31,1977, as follows:

Docket No. Petitioner Year Deficiency

5708-80 Robert P. Wendland 1973 $9,990.00

and Donna C. Wendland 1976 14,270.00

1977 383.00

5709-80 Irwin M. Adler 1976 56,460.77

and Helene E. Adler 1977 2,753.93

5710-80 Brent W. Trump 1976 21,777.00

and Cheryl A. Trump 1977 27,350.00

37,585.00 5711-80 Ronald Glassman CD rH

835.00 and Lenora Rae Glassman t> t-H

5712-80 Stephen L. Nemerofsky 1976 34,334.13

and Nina B. Nemerofsky 1977 852.29

$28,556.00 5769-80 Gerald L. Gunderson CD I> <Si 1 — í

1,874.00 and Judith C. Gunderson t> t> Cfc T — I

5771-80 Sherwin Ross 1976 73,524.70

and Marlynn Ross 1977 1,548.25

5772-80 Roman M. Wenzel 1976 16,218.00

and Emily A. Wenzel 1977 598.00

5773-80 Wilbur F. Helmus, Jr., 1976 20,124.00

and Patricia Helmus 1977 23,813.00

9376-80 Russell L. Redhouse, Jr. 1976 12,351.32

The petition of Antonio Gonzalez-Revilla, Jr., and Nair Gonzales-Revilla, docket No. 5770-80, originally was consolidated with the other petitions but was severed from the group by the granting of the oral motion to continue of June 1, 1981.

The issues for our decision are (1) whether, under section 1.612-3(b)(3), Income Tax Regs., as amended by T.D. 7523, 1978-1 C.B. 192, an advanced royalty paid on December 31, 1976, by Tennessee Coal Resources, Ltd. (hereinafter TCR), a limited partnership, is deductible in the year of payment or only in the year when the coal is sold; (2) whether the advanced royalty deduction allowable to TCR includes the amount reflected in the nonrecourse note given by TCR as well as the cash actually paid; (3) whether each petitioner may include his share of the nonrecourse note of the partnership in his basis in TCR; (4) whether TCR properly characterized a payment of $100,000 as deductible legal expenses; and (5) whether petitioners adequately substantiated miscellaneous other deductions claimed on the 1976 and 1977 tax returns of TCR and on the returns of certain individual petitioners.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts and supplemental stipulation of facts, together with the exhibits attached thereto, are incorporated herein by this reference.

At the time of filing their residences were as follows: herein, petitioners’ legal petitions

Petitioner Residence

Robert P. Wendland and Donna C. Wendland . Lighthouse Point, Fla.

Irwin M. Adler and Helene E. Adler . .Miami, Fla.

Brent W. Trump and Cheryl A. Trump ... ...Pompano Beach, Fla.

Ronald Glassman and Lenora Rae Glassman . Plantation, Fla.

Stephen L. Nemerofsky and Nina B. Nemerofsky . . Plantation, Fla.

Gerald L. Gunderson and Judith C. Gunderson ... Deerfield Beach, Fla.

Sherwin Ross and Marlynn Ross . .Miami, Fla.

Roman M. Wenzel and Emily A. Wenzel . .Key Biscayne, Fla.

Wilbur F. Helmus, Jr., and Patricia Helmus . . Lighthouse Point, Fla.

Russell L. Redhouse, Jr .... .Santa Clara, Calif.

The income tax returns for the taxable years involved were filed by each of the petitioners with the Office of the Internal Revenue Service at Chamblee, Ga. In addition, on April 5, 1977, Robert P. and Donna C. Wendland filed an application for tentative refund with the Internal Revenue Service Center at Chamblee, Ga., in which they claimed a carryback from 1976 to 1973 of unused net operating loss in the amount of $33,036. Respondent’s notice of deficiency in docket No. 5708-80 reflects a disallowance of this deduction.

By confidential offering memorandum dated November 12, 1976, limited partnership interests in Tennessee Coal Resources, Ltd., were offered to various investors. The offering memorandum provided that 900 units were to be sold to limited partners at a price of $1,000 per unit for a total of $900,000. Attached to the offering memorandum were the following exhibits: limited partnership agreement; coal mine description with maps; opinion of tax counsel; unexecuted nonrecourse note; coal supply agreement between Shattuck Coal Co., et al., and Carolina Power & Light Co.; resume of Edwin Tunick, general partner; lease agreement of November 12, 1976, between Edwin Tunick and L. D. Rowlette; subscription agreement; investor questionnaire; offeree representative questionnaire; and miscellaneous newspaper clippings. To become a limited partner in TCR, each prospective investor was required to have a net worth of at least $100,000 and some portion of his annual gross income taxable at a rate of 50 percent or more.3

Tennessee Coal Resources, Ltd., was formed on December 30, 1976. TCR reported its income on the accrual method of accounting. Immediately following its formation, TCR received from its general partner, Edwin Tunick, an assignment of a Claiborne County, Tenn., sublease. In addition, TCR was assigned other assets by an entity entitled GSA Corp., including a coal mining agreement with John T. Walden which included a note receivable and security interest for the sale of equipment, and a coal supply agreement between a number of individuals including Shattuck Coal Co. and Carolina Power & Light Co. The closing of the acquisition of the coal mine (the sublease, coal supply agreement, and coal mining agreement) by TCR was held on December 31,1976.

Pursuant to the confidential offering memorandum and the attached exhibits, petitioners each acquired limited partnership interests and became limited partners in TCR as follows:

Date of Percentage
Petitioner Payment payment interest in TCR Wendland 4 $24,500 12/23/76 3.0%
Adler 36,000 12/23/76 4.0
Trump 36,000 12/29/76 4.0
Glassman 30,000 12/29/76 3.2
Nemerofsky $18,000 12/06/76 2.0%
Gunderson 18,000 12/23/76 2.0
Ross 36,000 12/23/76 4.0
Wenzel 36,000 12/23/76 4.0
Helmus 36,000 12/29/76 4.0
Redhouse 24,000 12/29/76 3.0

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Bluebook (online)
79 T.C. No. 22, 79 T.C. 355, 1982 U.S. Tax Ct. LEXIS 48, Counsel Stack Legal Research, https://law.counselstack.com/opinion/wendland-v-commissioner-tax-1982.