2falsewitness
Mark V Holmes 360x1000
3theleastofus
storyparadox2
1madoff
12albion
4confidencegames
6confidencegames
2theleastofus
Tad Friend 360x1000
Margaret Fuller5 360x1000
Learned Hand 360x1000
1falsewitness
Ruth Bader Ginsburg 360x1000
2lafayette
storyparadox3
lifeinmiddlemarch1
Stormy Daniels 360x1000
1transcendentalist
11albion
399
Samuel Johnson 360x1000
AlexRosenberg
Betty Friedan 360x1000
2defense
Richard Posner 360x1000
1jesusandjohnwayne
3paradise
1defense
5confidencegames
2trap
Thomas Piketty2 360x1000
Anthony McCann2 360x1000
10abion
Susie King Taylor2 360x1000
James Gould Cozzens 360x1000
2albion
Margaret Fuller3 360x1000
2transadentilist
7albion
Anthony McCann1 360x1000
Gilgamesh 360x1000
Storyparadox1
1lafayette
Edmund Burke 360x1000
Thomas Piketty1 360x1000
Brendan Beehan 360x1000
5albion
LillianFaderman
3defense
Lafayette and Jefferson 360x1000
9albion
Margaret Fuller 360x1000
Adam Gopnik 360x1000
4albion
Office of Chief Counsel 360x1000
499
1lookingforthegoodwar
7confidencegames
2confidencegames
1empireofpain
Mary Ann Evans 360x1000
1albion
Margaret Fuller2 360x1000
199
6albion
8albion'
lifeinmiddlemarch2
George F Wil...360x1000
Margaret Fuller1 360x1000
2lookingforthegoodwar
1trap
1gucci
2jesusandjohnwayne
1lauber
299
George M Cohan and Lerarned Hand 360x1000
2paradise
Maria Popova 360x1000
2gucci
Thomas Piketty3 360x1000
1confidencegames
1paradide
14albion
Margaret Fuller4 360x1000
Margaret Fuller 2 360x1000
1theleasofus
13albion
3albion
Spottswood William Robinson 360x1000
3confidencegames
Susie King Taylor 360x1000
Maurice B Foley 360x1000
11632
Originally published on Forbes.com on August 2nd, 2012

I became fascinated by the Rafalca story because it brings together many of elements of tax practice that I follow closely – Code Section 183 (hobby losses), Code Section 469 (passive activities), the entity versus aggregate conception of partnership taxation.  Rarely is there an opportunity to bring these all together and connect them to an event that is in the public eye.  When I noted this morning that Rafalca was competing I became quite excited and thought I would be able to connect the stories.  Since when I hit publish, Rafalca was in sixth place, I thought that meant she could not get a medal.  A commenter quite rightly criticized me for poor research.  It had not occurred to me that the dressage competition is a multi-stage affair.  As I write this Rafalca is in 13th place and there is some hope of her advancing to the next stage. I apologize for not looking further into the matter this morning.  And I will keep rooting for Rafalca.

Rarely do I regret not having television, but this is one of those times. I just read that Rafalca, Mitt, and Ann Romney’s dancing horse, is currently placed 6th with 70.243 points in the individual dressage competition at the London Olympics.  I doubt that there is any connection between Rafalca getting 70 odd points and the Romneys having a 70 odd thousand deduction on their 2010 return from the partnership that owns Rafalca. I don’t know much about dressage, but I think that if you come in sixth, there is no medal.

It got me thinking about how much Rafalca saved Romney in current dollars on his 2010 return. My first thought was twenty to thirty grand. Then I remembered that his income is so heavily weighted towards capital gains and he gives so much to charity, that it might have only been about 10 grand. Then I remembered that the partnership was a passive activity with respect to the Romneys, meaning neither one of them spent at least 500 hours a year on the activity. Romney has over a million in losses from other passive activities and very little in the way of income from passive activities, so he was only allowed $50 of the loss from the partnership. Poor Rafalca. No medal and you only saved master about 10 bucks.

It is even worse though. If Romney had not had the Rafalca loss, he would have been able to deduct $50 more of the losses from his other passive activities. So for 2010, Rafalca saved master nothing.

It is true that Romney may get to use the losses in the future if he has income from passive activities or when the partnership interest is entirely disposed of, but the future is uncertain. Anyway, nice try Rafalca. I was rooting for you and so were Dogs Against Romney .  Hope they let you ride inside on the flight home.

You can follow me on twitter @peterreillycpa.

Postscript

I had studied Romney’s 2010 and draft 2011 returns sometime ago.  The Rob Rom partnership which owns Rafalca did not register with me.  A few days ago, Janet Novack, my esteemed editor, called to interview me for her piece Both Left And Right Got The Taxes On The Romneys’ Olympic Horse Wrong.  You can see what I had to say about it in her piece, but as part of the interview, I cluelessly asked her why this was in the news now.  She told me it was because of the Olympics?  I did remember that the Olympics were going on.  I don’t have a television, though, and the only Olympic sport I like is curling, which they don’t do in the Summer Olympics.  The tax questions were fascinating though and I did a piece on how to keep straight the various obstacles there are to posting negative numbers on your return – Romney’s Olympic Horse Not Jumping Through The Last Hoop of Deductibility.  As Frank Frank notes, though, my research on the actual dressage competition was abysmal.