Mary Ann Tobin - Page 13




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          undertakings, the business purpose served by carrying on the                
          undertakings separately or together, and the similarity of the              
          undertakings.  See sec. 1.183-1(d)(1), Income Tax Regs.3  The               
          Commissioner generally accepts a taxpayer's characterization of             
          two or more undertakings as one activity unless it is artificial            
          or unreasonable.  See id.                                                   
               Respondent argues that, under section 1.183-1(d), Income Tax           
          Regs., Broadmoor Gardens and petitioner's farm were separate                


               3 Sec. 1.183-1(d)(1), Income Tax Regs., provides in part:              
                    (d)  Activity defined--(1)  Ascertainment of                      
               activity.  In order to determine whether, and to what                  
               extent, section 183 and the regulations thereunder                     
               apply, the activity or activities of the taxpayer must                 
               be ascertained.  For instance, where the taxpayer is                   
               engaged in several undertakings, each of these may be a                
               separate activity, or several undertakings may                         
               constitute one activity.  In ascertaining the activity                 
               or activities of the taxpayer, all the facts and                       
               circumstances of the case must be taken into account.                  
               Generally, the most significant facts and circumstances                
               in making this determination are the degree of                         
               organizational and economic interrelationship of                       
               various undertakings, the business purpose which is (or                
               might be) served by carrying on the various                            
               undertakings separately or together in a trade or                      
               business or in an investment setting, and the                          
               similarity of various undertakings.  Generally, the                    
               Commissioner will accept the characterization by the                   
               taxpayer of several undertakings either as a single                    
               activity or as separate activities.  The taxpayer's                    
               characterization will not be accepted, however, when it                
               appears that his characterization is artificial and                    
               cannot be reasonably supported under the facts and                     
               circumstances of the case.  If the taxpayer engages in                 
               two or more separate activities, deductions and income                 
               from each separate activity are not aggregated either                  
               in determining whether a particular activity is engaged                
               in for profit or in applying section 183.  * * *                       




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Last modified: May 25, 2011