1969 Corp. v. Commissioner

1986 T.C. Memo. 387, 52 T.C.M. 226, 1986 Tax Ct. Memo LEXIS 223
United States Tax Court·Decided August 19, 1986·No. Docket Nos. 22210-82, 22354-82, 22355-82.·Unpublished

Opinion

1969 CORP., ET AL., 1 Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
1969 Corp. v. Commissioner
Docket Nos. 22210-82, 22354-82, 22355-82.
United States Tax Court
T.C. Memo 1986-387; 1986 Tax Ct. Memo LEXIS 223; 52 T.C.M. (CCH) 226; T.C.M. (RIA) 86387;
August 19, 1986.
William L. Raby and John C. Fossum, for the petitioners.
Terence D. Woolston, for the respondent.

SHIELDS*224

MEMORANDUM FINDINGS OF FACT AND OPINION

SHIELDS, Judge: In these consolidated cases, respondent determined deficiencies in petitioners' Federal income taxes as follows:

PetitionerDocket No.YearDeficiency
1969 Corp.22210-8203/31/73$99
03/31/741,530
03/31/751,439
03/31/761,120
03/31/773,921
03/31/78946
Nancy R. Pitt22354-8212/31/761,940
12/31/773,683
12/31/785,248
12/31/7910,682
Donald and22355-8212/31/741,359
Nancy R. Pitt12/31/757,296

By amended answers, respondent increased the deficiency in Docket No. 22210-82 to $7,120 for fiscal year 1976 and increased the deficiency in Docket No. 22355-82 to $79,271 for calendar year 1975.

After concessions, including stipulations to be bound in certain respects by decisions in related cases, 2 two issues remain for decision in these cases: (1) How and when should petitioners' partnership report certain cash and promissory notes received from third parties in exchange for the release of the third parties from liability under a lease; and (2) when may the partnership deduct the unamortized balance of certain leasehold*225 acquisition costs?

FINDINGS OF FACT

Some of the facts have been stipulated. The stipulation of facts, supplemental stipulation of facts, and exhibits attached thereto are incorporated herein by reference.

Petitioner in Docket No. 22210-82, 1969 Corp., had its principal office and place of business at all relevant times in Tucson, Arizona, and filed income tax returns for its fiscal years 1973 through 1978, with the Internal Revenue Service Center, Ogden, Utah. All of the outstanding stock in 1969 Corp. was at all relevant times owned 50 percent by Richard L. Bloch and 50 percent by petitioner Donald Pitt, alone or in conjunction with petitioner, Nancy R. Pitt.

Petitioners in Docket No. 22355-82, Donald and Nancy R. Pitt, resided in Tucson at the time their petition was filed. They filed joint income tax returns for the years 1974 and 1975 with the Ogden Service Center.

Petitioner in Docket No. 22354-82, Nancy R. Pitt, *226 resided in Tucson when her petition was filed and filed returns as an unmarried head-of-household for the years 1976, 1977, 1978, and 1979 with the Ogden Service Center.

In these cases all of the adjustments made by respondent to petitioners' returns arose out of transactions of ARIZ, a California limited partnership organized in 1969, in which all petitioners were partners at one time or another. Under ARIZ's original partnership agreement, 1969 Corp. was its general partner with a 5 percent interest in the partnership profits and losses while Richard L. Bloch and Donald Pitt were its limited partners with each having a 47.5 percent interest in the partnership profits and losses. The ownership of the partnership interests continued in this manner until at or about the end of 1975 when Nancy R. Pitt acquired a 4.75 percent interest from Donald Pitt. During 1976 through 1979 the partnership interests were owned as follows:

1969 Corp.

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1969 Corp. v. Commissioner, 1986 T.C. Memo. 387, 52 T.C.M. 226, 1986 Tax Ct. Memo LEXIS 223 (tax 1986).

1986 T.C. Memo. 387 (1969 Corp. v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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