Opinion · United States Tax Court

Miller v. Commissioner

84 T.C. 827

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1985-05-13
Topic
general

Whitaker, Judge: Respondent determined a deficiency in income tax for petitioners’ 1979 taxable year in the amount of $104,236. Due to concessions, the sole issue for determination is the deductibility of short-term losses in the amount of $103,325 from trading in commodity futures straddles claimed on Schedule D of petitioners’ income tax return. FINDINGS OF FACT Some of the facts have been stipulated and are so found. Throughout the year 1979, petitioners were husband and wife, although they are now divorced. At the time of the filing of the petition in this case, each of petitioners was a resident of the State of Colorado.1 Petitioners’ income tax return for the year 1979 was filed, using the cash method of accounting.

Citator

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