Wong v. Commissioner

1994 T.C. Memo. 202, 67 T.C.M. 2911, 1994 Tax Ct. Memo LEXIS 202
CourtUnited States Tax Court
DecidedMay 5, 1994
DocketDocket No. 9821-92
StatusUnpublished
Cited by2 cases

This text of 1994 T.C. Memo. 202 (Wong 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
Wong v. Commissioner, 1994 T.C. Memo. 202, 67 T.C.M. 2911, 1994 Tax Ct. Memo LEXIS 202 (tax 1994).

Opinion

NOLAN WONG AND ANGELA WONG, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Wong v. Commissioner
Docket No. 9821-92
United States Tax Court
T.C. Memo 1994-202; 1994 Tax Ct. Memo LEXIS 202; 67 T.C.M. (CCH) 2911;
May 5, 1994, Filed

*202 Decision will be entered under Rule 155.

For petitioners: Robert E. Hunter
For respondent: Elaine Sierra
RAUM

RAUM

MEMORANDUM OPINION

RAUM, Judge: The Commissioner determined the following deficiencies in income tax and additions to tax against petitioners for 1985 and 1986:

19851986
Deficiency$ 32,350$ 19,133
Additions to tax:
Sec. 6651(a)8,0884,783
Sec. 6653(a)(1)1,618
Sec. 6653(a)(1)(A)957
Sec. 6653(a)(2)1  
Sec. 6653(a)(1)(B)2  
Sec. 66618,0884,783

After concessions, the sole remaining issue is whether petitioners were entitled under section 12441 to an ordinary loss deduction for worthless stock in the circumstances of this case. The facts have been stipulated.

*203 Petitioners resided in San Francisco, California, when their petition was filed with the Court. All references to petitioner in the singular are to petitioner Nolan Wong.

During 1984, petitioner formed Firewood Pizza, Inc. (Firewood), a domestic corporation capitalized at an amount not in excess of $ 1 million. During the years it was in existence, more than 50 percent of Firewood's gross receipts were from the operation of its business.

Petitioner made an initial cash investment of $ 100,000 in Firewood. That amount represented his tax basis in the corporation's stock. Petitioner, as the incorporating director of Firewood, elected to have the stock issued as "section 1244 stock" for purposes of the provisions of section 1244. Petitioner recieved 100 percent of the shares of common stock issued by Firewood and was at all pertinent times the sole shareholder in the corporation. However, petitioner has no records regarding his stock ownership. Nor has petitioner been able to locate any of Firewood's corporate records.

By the end of 1986 Firewood became insolvent, and petitioner's stock became worthless at that time. However, on their 1986 joint Federal income tax return, *204 filed February 27, 1989, petitioners did not claim a deduction for the Firewood stock loss, nor did they provide any information relating to that loss. The issue was raised for the first time after the issuance to petitioners of the statutory notice of deficiency, which was concerned exclusively with items entirely unrelated to the stock loss. In fact, petitioners first raised the Firewood stock loss deduction after the filing of the petition herein and during the IRS administrative appeal process for the issues raised in the Commissioner's deficiency notice. 2 During the course of the administrative appeal procedure, petitioners, on January 12, 1993, submitted a Form 4797 3 for the taxable year 1986 and an attached statement captioned "STATEMENT AS PER REGS. SEC. 1.1244(e)1(b)." The attached statement reads as follows:

NOLAN & ANGELA WONGTAXABLE YEAR 1986
546-89-0295--

STATEMENT AS PER IRC REGS. SEC. 1.1244(e)-1(b)

(1) NAME AND ADDRESS OF THE CORPORATION THAT ISSUED THE SECTION 1244 STOCK:

FIREWOOD PIZZA, INC.

643 CLAY STREET

SAN FRANCISCO, CA 94108

(2) MANNER IN WHICH THE TAXPAYER ACQUIRED THE STOCK:

PURCHASED IN LUMP SUM PAYMENT WITHOUT INSTALLMENT*205

(3) NATURE AND AMOUNT OF CONSIDERATION PAID BY THE TAXPAYER FOR THE STOCK:

ONE HUNDRED THOUSAND DOLLARS ($ 100,000) IN CASHIER'S CHECK WAS PAID FOR THE STOCK

Petitioners also submitted an amended joint 1986 U.S.

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Related

Miller v. Commissioner
104 T.C. No. 14 (U.S. Tax Court, 1995)

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Bluebook (online)
1994 T.C. Memo. 202, 67 T.C.M. 2911, 1994 Tax Ct. Memo LEXIS 202, Counsel Stack Legal Research, https://law.counselstack.com/opinion/wong-v-commissioner-tax-1994.