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No. 8688157
United States Court of Appeals for the Ninth Circuit
Walter v. Commissioner of Internal Revenue
No. 8688157 · Decided July 25, 2008
No. 8688157·Ninth Circuit · 2008·
FlawFinder last updated this page Apr. 2, 2026
Case Details
Court
United States Court of Appeals for the Ninth Circuit
Decided
July 25, 2008
Citation
No. 8688157
Disposition
See opinion text.
Full Opinion
MEMORANDUM ** Petitioners Edward and Jamie Walter appeal the decision of the tax court upholding the Commissioner’s determination of a *446 tax deficiency for the year 2000. We have jurisdiction pursuant to 26 U.S.C. § 7482 , and we affirm. The parties dispute the applicable standard of review. Petitioners argue that the standard of review is de novo because the issues involve questions of law. The Commissioner claims that we review the tax court’s decision for clear error because we are presented with a question of fact. We need not decide which standard applies in this case because we reach the same conclusion under either one. See Brown v. United States, 329 F.3d 664, 670-71 (9th Cir.2003) (declining to determine whether de novo or clearly erroneous standard of review applied where the court would affirm applying even the more rigorous de novo standard). The tax court properly concluded that Petitioners exercised the stock options on July 14, 2000 when they obtained a beneficial ownership interest in the shares, and that Petitioners’ stock options became taxable gross income on that date for purposes of 26 U.S.C. § 83 . United States v. Tuff 469 F.3d 1249, 1251 (9th Cir.2006); 26 C.F.R. § 1.83-3 (a)(1). On July 13, 2000, Petitioners originally elected the “same day sale” option on the Notice of Exercise, which would have exercised the options by selling all shares immediately. The next morning, on July 14, 2000, before the shares were sold, Petitioners notified Piper Jaffray that they did not want to exercise and sell the options in a same day sale, but instead wished to exercise and hold. Even though they changed their minds and elected to hold the shares, Petitioners could have sold them or exercised control over them as of the July 14, 2000 exercise date, regardless of the fact that payment was not received by Primus until July 18, 2000. On July 14, 2000, Petitioners had the right to pledge the shares as collateral or sell the shares, and other rights and benefits that are the normal incidents of ownership. See Pahl v. Comm’r, 150 F.3d 1124, 1128 (9th Cir.1998) (explaining that courts look to state law to determine whether the requisite interest has been created for tax purposes); Christiansen v. Dep’t of Soc. Sec., 15 Wash.2d 465 , 131 P.2d 189, 191 (1942) (defining beneficial interest under Washington law). Petitioners’ remaining contentions are unpersuasive. Accordingly, the tax court did not err in upholding the Commissioner’s determination of tax deficiency. AFFIRMED. This disposition is not appropriate for publication and is not precedent except as provided by 9th Cir. R. 36-3.
Plain English Summary
MEMORANDUM ** Petitioners Edward and Jamie Walter appeal the decision of the tax court upholding the Commissioner’s determination of a *446 tax deficiency for the year 2000.
Key Points
01MEMORANDUM ** Petitioners Edward and Jamie Walter appeal the decision of the tax court upholding the Commissioner’s determination of a *446 tax deficiency for the year 2000.
02Petitioners argue that the standard of review is de novo because the issues involve questions of law.
03The Commissioner claims that we review the tax court’s decision for clear error because we are presented with a question of fact.
04We need not decide which standard applies in this case because we reach the same conclusion under either one.
Frequently Asked Questions
MEMORANDUM ** Petitioners Edward and Jamie Walter appeal the decision of the tax court upholding the Commissioner’s determination of a *446 tax deficiency for the year 2000.
FlawCheck shows no negative treatment for Walter v. Commissioner of Internal Revenue in the current circuit citation data.
This case was decided on July 25, 2008.
Use the citation No. 8688157 and verify it against the official reporter before filing.