Opinion · United States Tax Court

Sabelis v. Commissioner

37 T.C. 1058

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1962-03-09
Topic
general

Fisher, Judge: Respondent determined deficiencies in income tax of petitioners as follows: year Deficiency 1955_$484. 72 1956_ 488.91 1957_ 584. 96 The basic issues presented are: (1) Whether, during the years in question, petitioners in operating Circle S Breeding Farm were operating a trade or business, and (2) if they were operating a trade or business, the amounts of deductions allowable in determining net losses for said years. FINDINGS OF FACT. Petitioners, husband and wife, filed their joint income tax returns for the years 1955,1956, and 1957 with the district director of internal revenue, Tacoma, Washington. The petitioners during the years in issue claimed losses from the activities of an alleged breeding and training farm as deductions from adjusted gross income on their returns as follows: 1955 Income: Fertilizer_ $36. 91 Expenses: Labor _$794. 72 Feed _ 680.44 Machine hire_ 30. 00 Supplies _ 10. 82 Shoeing _;_ 126. 29 Fertilizer and lime_ 50. 00 Veterinary and medicine_ 93. 68 Outside labor and miscellaneous_ 115.45 - 1,901.40 Loss_ (1,864.49) 1956 Income: Boarding horses_ $205. 00 Expenses: Labor_$870. 00 Feed_ 887. 86 Depreciation - 40.00 Shoeing_ 139. 92 Veterinary_ 95. 50 Miscellaneous _ 5.35 - 2,038.63 Loss _ (1,833.63) 1957 Income: Boarding horses_ $603. 30 Biding lessons- 192. 00 Fertilizer_ 57. 00 852. 30 Expenses: Labor _$885. 50 Feed_ 959.45 Machine hire_ 32. 65 Supplies - 51. 80 Bepairs_ 471. 56 Boarding _ 47.50 Veterinary_ 130.68 Shoeing_ 141. 53 Taxe…

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