Ahlegian v. Commissioner

1975 T.C. Memo. 342, 34 T.C.M. 1485, 1975 Tax Ct. Memo LEXIS 34
CourtUnited States Tax Court
DecidedNovember 13, 1975
DocketDocket No. 6274-73.
StatusUnpublished

This text of 1975 T.C. Memo. 342 (Ahlegian v. Commissioner) is published on Counsel Stack Legal Research, covering United States Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Ahlegian v. Commissioner, 1975 T.C. Memo. 342, 34 T.C.M. 1485, 1975 Tax Ct. Memo LEXIS 34 (tax 1975).

Opinion

OTTO A. AHLEGIAN and ESTATE OF DOROTHEA J. AHLEGIAN, DECEASED, OTTO A. AHLEGIAN, EXECUTOR, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Ahlegian v. Commissioner
Docket No. 6274-73.
United States Tax Court
T.C. Memo 1975-342; 1975 Tax Ct. Memo LEXIS 34; 34 T.C.M. (CCH) 1485; T.C.M. (RIA) 750342;
November 13, 1975, Filed
Allan Hull, for the petitioners.
James E. Dunn, Jr., for the respondent.

DRENNEN

MEMORANDUM FINDINGS OF FACT AND OPINION

DRENNEN, Judge: Respondent determined deficiencies in the income taxes of petitioners*35 in the amounts of $27,767.07 and $2,938.82 for the years 1969 and 1970, respectively.

The sole issue for consideration is whether distributions of $55,000 in 1969 and $9,400 in 1970 from a corporation, Precision Industries, Inc., to petitioners constitute dividends to petitioners. Petitioners argue that these distributions were received in payment for a building which they sold to the corporation, or, alternatively, they were bona fide loans from the corporation.

FINDINGS OF FACT

Certain facts have been stipulated and are found accordingly.

The petitioners, 1 Otto and Dorothea Ahlegian, filed joint Federal income tax returns for the calendar years 1969 and 1970 with the Internal Revenue Service Center, Cincinnati, Ohio. Since Dorothea is deceased, we shall, for convenience, sometimes hereinafter refer to Otto Ahlegian (Ahlegian) as petitioner.

Petitioners' address on the date the petition was filed herein was 3400 Wooster Road, Apt. 211, Rocky River, Ohio.

During the years here in issue Otto Ahlegian and Dorothea*36 Ahlegian were the sole officers and directors of Precision Industries, Inc. (hereinafter Precision) and owned in excess of 67 percent of the outstanding stock of the corporation. Actually, petitioners owned at least 122 shares of stock in Precision and only 20 shares were owned by other individuals.

Prior to 1967, petitioners owned a building located at 13410 Enterprise Avenue, Cleveland, Ohio, in which building the business of Precision was conducted. In 1967, petitioners determined that this building would be contributed to the corporation in return for stock. For this purpose, the building was valued at the out-of-pocket costs which had been incurred for it by petitioners. Title to this property located at 13410 Enterprise Avenue, in Cleveland, was transferred to Precision in 1967.

Although no actual certificates were issued, the corporation's accountants treated the stock as if it had been issued, and a dividend of $1 per share was paid on all shares including those representing the building transferred to the corporation.

In 1969 petitioners wanted to purchase a condominium in Florida. Petitioner contacted his banker in an attempt to obtain financing for the proposed condominium*37 purchase. The banker was reluctant to have the bank make a real estate mortgage loan on a Florida condominium, but apparently determined that Precision had sufficient funds to cover the cost of the condominium without jeopardizing the corporation's financial condition and credit standing with the bank.

Based on this determination, petitioners obtained the necessary funds from Precision. In November 1969, Precision made a cash distribution of $5,000 to petitioners. Additionally in December 1969 the corporation made another distribution to petitioners in the amount of $50,000. Finally on May 18, 1970, Precision made a distribution to the petitioners of $9,800 of which $400 was the repayment of a loan from them which was not related to the issue herein.

Precision kept its books and reported its taxable income on a fiscal year basis ending March 31. During the fiscal years ended March 31, 1970, and March 31, 1971, Precision had earning and profits in excess of the distributions made to petitioners.

The cash distributions to petitioners in 1969 and 1970 totaling $64,400 equaled the amount of money which petitioners had invested in the building. Concomitant with these distributions*38 from Precision, petitioners attempted to recharacterize the transaction in 1967 from an exchange of the building for shares of stock of Precision to a sale of the building to Precision for cash as represented by the distributions in these later years.

Subsequent to these cash distributions, Ahlegian was informed by his accountants that he could not claim that these monies were received as a result of a sale of the building. Accordingly, Ahlegian was advised to treat the $55,000 received in 1969 and $9,400 received in 1970 as loans from the corporation. Precision's corporate income tax return for the fiscal year ended March 31, 1970, showed on the attached balance sheet, as loans to stockholders, zero at the beginning of the fiscal year and $55,000 at the end of the year. Similarly, its corporate tax return for the fiscal year ended March 31, 1971, reflected loans to stockholders in the amount of $55,000 at the beginning of the fiscal year and $64,800 at the end of that year.

At the time the cash distributions were made neither the petitioners nor the corporation intended them to be considered loans. When the actual distributions were made, there was no intention on the part of*39 either petitioners or the corporation that such distributions were to be repaid.

OPINION

Respondent determined that the payments totaling $55,000 in 1969 and $9,400 of the $9,800 payment in 1970 made to petitioners by Precision represented dividends to the petitioners. 2

Petitioners have attempted to rebut the determination of the Commissioner with two alternative arguments, neither of which we find persuasive. First*40

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Anketell Lumber & Coal Co. v. United States
1 F. Supp. 724 (Court of Claims, 1932)
Haber v. Commissioner
52 T.C. 255 (U.S. Tax Court, 1969)
Electric & Neon, Inc. v. Commissioner
56 T.C. 1324 (U.S. Tax Court, 1971)
Paula Constr. Co. v. Commissioner
58 T.C. 1055 (U.S. Tax Court, 1972)

Cite This Page — Counsel Stack

Bluebook (online)
1975 T.C. Memo. 342, 34 T.C.M. 1485, 1975 Tax Ct. Memo LEXIS 34, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ahlegian-v-commissioner-tax-1975.