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GARY ARNOLD KALBFLEISCH, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, RespondentKalbfleisch v. CommissionerDocket No. 10876-89
United States Tax Court T.C. Memo 1991-61; 1991 Tax Ct. Memo LEXIS 80; 61 T.C.M. (CCH) 1902; T.C.M. (RIA) 91061;February 20, 1991, Filed*80
Decision will be entered for the respondent .Gary A. Kalbfleisch, pro se. , for the respondent.Bradley D. Magee NAMEROFF,Special Trial Judge .NAMEROFFMEMORANDUM OPINION
This case was heard pursuant to section 7443A(b)(3) *81 thereto, and the exhibits orally stipulated are incorporated herein by reference. Petitioner resided in Reseda, California, at the time of the filing of the petition. For convenience, we will combine the specific findings of facts and opinion for each issue.
Schedule C Losses Petitioner received a bachelor of science degree from the California State College at Long Beach in 1971. Subsequently, he has had various positions, including several companies in the aerospace industry, involved with writing skills. According to his resume, most of these positions involved the writing of technical manuals, proposals, test procedures, designs, and contracts. Petitioner not only was responsible for writing some of these documents, but also was responsible for editing such documents written by others.
In late 1984 or 1985, petitioner commenced an activity involving writing, publishing, art, painting, and photography. He decided that there was a market for short stories, particularly short stories that were four pages or less in length. The record reflects that petitioner only wrote one short story in 1985 -- "Raise the Obelisk in the Town Square" -- purportedly a four-page illustrated*82 short story which petitioner attempted to sell for $ 1.00 per issue. *83 this document began as a one-page publication. As the years progressed, it grew larger and contained articles written by free-lance writers, as well as those of petitioner/publisher, plus some photographs and poetry. Initially petitioner attempted to market "The Political Needle" by arranging to have it on display at one or more local newsstands on a consignment basis. In subsequent years, petitioner also offered subscriptions by mail, although it is unclear from the record how the subscription offer was publicized, if in any other way than being part of the pamphlet itself. The terms of the consignment agreements with the various newsstand owners were a 50/50 share of the suggested sales price of $ 1.00. Petitioner had no gross income from this activity in 1984, 1985, or 1986. Gross income reported by petitioner in 1987 and 1988 was $ 85 and $ 44, respectively. There is no evidence that petitioner ever contacted any third parties, advisors, or experts to determine whether there was a need and market for very short stories or a political opinion pamphlet.
In 1985, petitioner also had a painting activity. He attempted to market his art at one or more local swap meets. There*84 is no evidence in the record as to petitioner's background with regard to art or any attempts to determine whether and how such an activity can be a profit making activity.
Petitioner's Schedule C for 1985 reflects no gross income and claims the following expenses: