Zambakian v. Commissioner

1986 T.C. Memo. 219, 51 T.C.M. 1101, 1986 Tax Ct. Memo LEXIS 386
United States Tax Court·Decided June 2, 1986·No. Docket No. 1253-84.·Unpublished

Opinion

HERMINE ZAMBAKIAN AND IRVING ZAMBAKIAN, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Zambakian v. Commissioner
Docket No. 1253-84.
United States Tax Court
T.C. Memo 1986-219; 1986 Tax Ct. Memo LEXIS 386; 51 T.C.M. (CCH) 1101; T.C.M. (RIA) 86219;
June 2, 1986.
*386

During 1981, Ps maintained brokerage accounts on which they paid interest and from which they received interest and dividend income. In computing their 1981 tax liability, Ps did not consider the alternative minimum tax imposed by section 55, I.R.C.Held, because Ps were not engaged in the trade or business of investing, Ps' investment interest expenses are deductible as itemized deductions under section 163, I.R.C. These expenses are therefore includable in Ps' 1981 alternative minimum taxable income.

Irving Zambakian, pro se.
Richard F. Flaherty, for the respondent.

NIMS

MEMORANDUM OPINION

NIMS, Judge: Respondent determined a deficiency of $1,696.40 in petitioners' 1981 Federal income tax. The sole issue for decision is whether petitioners are subject to the alternative minimum tax imposed by section 551 as determined by respondent. Resolution of this issue turns on whether Irving Zambakian's investment activities during 1981 constituted a trade or business.

The case was submitted fully stipulated.The stipulation of facts and attached exhibits *387are incorporated herein by this reference.

Petitioners Irving Zambakian (hereinafter sometimes referred to as Irving or petitioner) and Hermine Zambakian (Hermine), husband and wife, resided at Glen Ridge, New Jersey, at the time they filed the petition herein.

During 1981, petitioners maintained brokerage accounts on which they paid interest and from which they received interest and dividend income. Irving and Hermine jointly filed a 1981 Form 1040 on which they listed their occupations as "investor" and "homemaker," respectively. On their 1981 Form 1040, they reported adjusted gross income of $6,629 determined as follows: wage income--0; interest and dividend income--0 2*388; capital loss--$3,000; and rents, royalties, partnerships, etc.--$9,629. From adjusted gross income of $6,629, petitioners subtracted excess itemized deductions of $2,826 and exemptions of $3,000 to arrive at taxable income of $803. Based on taxable income of $803, petitioners determined that they owed no Federal income tax for taxable year 1981. Petitioners, however, did not consider the alternative minimum tax provisions of section 55 in determining their 1981 tax liability.

On Schedule B (Interest and Dividend Income) attached to their 1981 Form 1040, petitioners reported interest income of $2,679 and dividend income of $94,840. Petitioners offset the dividend income by investment interest expenses of $165,157.

On Schedule D (Capital Gains and Losses) of their 1981 income tax return, petitioners reported net short-term capital losses of $33,648 3*389 and net long-term capital losses of $56,099. 4 On an attachment to Schedule D of their 1981 return, petitioners reported the following stock transactions:

Date ofDate ofLong-TermShort-Term
CapitalCapital
StockPurchaseSaleGain (or Loss)Gain (or Loss)
Continental
Airlines9/3/653/9/81$ 322 
Candel Oil4/1/604/22/81 and4,502 
5/5/81
Barth Spencer4/6/71 and6/20/81(1,043)
7/7/72
Mobil Corp.7/14/807/13/31

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Zambakian v. Commissioner, 1986 T.C. Memo. 219, 51 T.C.M. 1101, 1986 Tax Ct. Memo LEXIS 386 (tax 1986).

1986 T.C. Memo. 219 (Zambakian v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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