LAKEWOOD ASSOCIATES v. COMMISSIONER

Docket No. 24656-93.

109 T.C. 450 (1997)

LAKEWOOD ASSOCIATES, ROBERT G. MOORE, TAX MATTERS PARTNER, PETITIONER v. COMMISSIONER OF INTERNAL REVENUE, RESPONDENT

United States Tax Court.

Filed December 29, 1997.


Attorney(s) appearing for the Case

Douglas E. Kahle, for petitioner.

John C. McDougal, for respondent.


GERBER, Judge:

Respondent issued a notice of final partnership administrative adjustment to Lakewood Associates for taxable year 1989. The issue for our consideration is whether Lakewood Associates is entitled to a loss deduction under section 1651 in 1989 for a decrease in the value of real property alleged to have been caused by restrictions imposed on its ability to develop the property...

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