Young v. Commissioner

83 T.C. No. 46, 83 T.C. 831, 1984 U.S. Tax Ct. LEXIS 7
CourtUnited States Tax Court
DecidedNovember 29, 1984
DocketDocket No. 25203-82
StatusPublished
Cited by49 cases

This text of 83 T.C. No. 46 (Young 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
Young v. Commissioner, 83 T.C. No. 46, 83 T.C. 831, 1984 U.S. Tax Ct. LEXIS 7 (tax 1984).

Opinion

Featherston, Judge:

Respondent determined a deficiency in the amount of $48,722.49 in petitioners’ Federal income tax for 1977. Petitioners allege that respondent’s determination is erroneous and they claim an overpayment of $23,191 in their income tax for the same year. The parties have stipulated that petitioners incurred a net operating loss in the amount of $223,964 for 1976. The only issue for decision is whether petitioners made an effective election, as required by section 172(b)(3)(E),1 to relinquish the entire carryback period with respect to their 1976 net operating loss, which would thereby allow them to carry such loss forward in its entirety to 1977.

FINDINGS OF FACT

At the time they filed their petition in this case, petitioners, who were husband and wife during 1977, the year at issue, resided in Houston, TX. They filed joint Federal income tax returns for the years 1972 through 1977. Petitioners’ Federal income tax returns for the years 1974 through 1977 were prepared by Frank C. Williams, a certified public accountant.

Petitioners’ 1976 Federal income tax return was timely filed on October 17, 1977, its due date after extensions. In this return, petitioners reported their 1976 taxable income as "None.” Attached to petitioners’ 1976 Form 1040 is Form 4625, Computation of Minimum Tax. Line 11 of Form 4625 provides as follows: "Enter amount of any 1976 net operating loss carryover to 1977 (attach statement showing computation).” The amount entered in line 11 is $131,334.89. No computation statement, as directed under line 11, is attached to the return. The return contains no other information concerning petitioners’ 1976 net operating loss, or net operating losses from other years.

Petitioners timely filed their 1977 Federal income tax return. Attached to petitioners’ 1977 Form 1040 is Supporting Statement 19 which provides the following information:

Net Operating Loss Carryover
1975. $105,255
1976. 139,298
Total net operating loss carryover to 1977. 244,553

As a result of agreed audit changes made with respect to their 1976 return, petitioners filed a Form 1040X, Amended U.S. Individual Income Tax Return, for 1976. The amended return for 1976 was dated November 25, 1980, postmarked November 26, 1980, and received by respondent on December 2, 1980; it was submitted after the due date of the return, but within the statutory period prescribed for filing a claim for refund for petitioners’ 1976 taxable year.

Attached to the 1976 Form 1040X, as it was to the 1976 Form 1040, is Form 4625, Computation of Minimum Tax. Line 11 of Form 4625 provides as follows: "Enter amount of any 1976 net operating loss carryover to 1977 (attach statement showing computation).” The amount entered on line 11 is $223,395.26. Also entered on line 11 is a reference to statement I which is attached to the 1976 Form 1040X, and is entitled "Net Operating Loss Computation.” Statement I contains the recalculation of petitioners’ 1976 net operating loss, and also states as follows:

ELECTION
In accordance with regulation section 7.0(d) taxpayer elects or has previously elected to forego the carryback period of the 1976 net operating loss deduction.

Petitioners’ accountant included the election statement on the amended return because the revenue agent who audited petitioners’ original 1976 return did not agree that petitioners had effectively elected to relinquish the carryback period of their 1976 net operating loss on their original 1976 return.

Petitioners filed a Form 1040X, Amended U.S. Individual Income Tax Return, for 1977 as well. In Schedule II, attached to the 1977 Form 1040X, petitioners provided the following information:

As filed As amended Change
1975 Net operating loss carryover $105,255 None 1$105,255
1976 Net operating loss carryover 139,298 223,395 2(84.097)
Net increase to income 21,158
1 Amount of 1975 net operating loss required to be carried back to 1972,1973, and 1974 due to IRS examination of 1974 and 1975 partnership return for
Douglas Park, Ltd. 105,255
2Adjustment for nonbusiness income allowed as additional net operating loss per Form 1040X for 1976 dated 11/26/80. 99,449
Decrease in operating expenses for 1976 per Form 1040X for 1976 dated 11/26/80 . (15.352)
Additional net operating loss carryover from 1976 .. 84.097
Total net operating loss for 1976. 223,395
Less: amount carried back. None
Amount of 1976 net operating loss carried to 1977. 223.395

In the notice of deficiency for 1977, respondent determined that petitioners failed to make a valid election under section 172(b)(3)(C)2 to relinquish the entire carryback period of their 1976 net operating loss, and, therefore, under section 172(b)(1), petitioners’ 1976 net operating loss must be carried back to the 3 preceding years before it may be carried forward to 1977.

OPINION

As a general rule, section 172(b), as in effect during 1977, provides that net operating losses must first be carried back to the 3 years preceding the loss year, and, if unabsorbed by those years, then carried forward to the 7 years following the loss year. Section 172(b)(3)(E), enacted as part of the Tax Reform Act of 1976, however, provides that for any taxable year ending after December 31,1975, a taxpayer otherwise entitled to a carryback period under section 172(b)(1) may elect to relinquish the entire carryback period with respect to a net operating loss for such year. The statute further expressly provides that the election to relinquish the carryback period shall be made by the due date, including extensions of time, for filing the taxpayer’s return for the year of the net operating loss for which the election, is to be in effect, and, that the election, once made, shall be irrevocable. The statute directs that the election shall be made in the manner prescribed by the Secretary.3

In accordance with the statutory mandate, the Secretary promulgated Temporary Regs, section 7.0 (T.D. 7459), published in the Federal Register for January 7, 1977, and in the Internal Revenue Bulletin for February 14, 1977. See 42 Fed. Reg. 1469 (1977); 1977-7 I.R.B. 27, and 1977-1 C.B. 587. Temporary Regs, section 7.0 is entitled "Various Elections under the Tax Reform Act of 1976” and, as the title implies, it prescribes the procedure for making elections with respect to certain provisions added to the Code by the Tax Reform Act of 1976, including, among others, the election under section 172(b)(3)(E).

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Bluebook (online)
83 T.C. No. 46, 83 T.C. 831, 1984 U.S. Tax Ct. LEXIS 7, Counsel Stack Legal Research, https://law.counselstack.com/opinion/young-v-commissioner-tax-1984.