CAMPBELL v. U.S.

No. 86-1212.

813 F.2d 694 (1987)

William E. CAMPBELL and Gwendolyn J. Campbell, Plaintiffs-Appellants Cross-Appellees, v. UNITED STATES of America, Defendant-Appellee Cross-Appellant.

United States Court of Appeals, Fifth Circuit.

Rehearing Denied May 29, 1987.


Attorney(s) appearing for the Case

William M. Methenitis, Strasburger & Price, P. Michael Jung, Thomas C. Unis, Dallas, Tex., for plaintiffs-appellants-cross-appellees.

Gary D. Gray, Jonathan S. Cohen, Attys., U.S. Dept. of Justice, Tax Div., Michael L. Paup, Chief, Appellate Section, Tax Div., Dept. of Justice, Roger M. Olsen, Washington, D.C., for defendant-appellee, cross-appellant.

Before VAN GRAAFEILAND, HIGGINBOTHAM, and JONES, Circuit Judges.


EDITH H. JONES, Circuit Judge:

Taxpayers William E. and Gwendolyn J. Campbell appeal the decision of the district court that losses from certain real estate limited partnerships were not includable in taxpayers' net operating losses because they were not incurred in taxpayers' "trade or business." The government cross-appeals the district court's contrary finding in regard to losses incurred by others of taxpayers' limited partnerships, 581 F.Supp...

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