MEISTER v. COMMISSIONER

Docket No. 34626-86.

56 T.C.M. 440 (1988)

T.C. Memo. 1988-487

Robert A. Meister and Wendy Meister v. Commissioner.

United States Tax Court.

Filed October 6, 1988.


Attorney(s) appearing for the Case

David A. Schmudde, 535 Fifth Ave., New York, N.Y., for the petitioners. Frank Agostino and Carroll D. Lansdell, for the respondent.


Memorandum Opinion

COHEN, Judge:

Respondent determined a deficiency of $86,987 in petitioners' 1982 Federal income tax. As stipulated by the parties, the issues for decision are (1) whether the partnership February Associates acquired a depreciable interest with respect to its investment in the motion picture "I Ought To Be In Pictures"; if the partnership did acquire a depreciable interest, (2) what was its depreciable basis, and was such basis subject...

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