Armstrong v. Commissioner

1977 T.C. Memo. 30, 36 T.C.M. 137, 1977 Tax Ct. Memo LEXIS 408
CourtUnited States Tax Court
DecidedFebruary 7, 1977
DocketDocket No. 7056-73
StatusUnpublished

This text of 1977 T.C. Memo. 30 (Armstrong 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
Armstrong v. Commissioner, 1977 T.C. Memo. 30, 36 T.C.M. 137, 1977 Tax Ct. Memo LEXIS 408 (tax 1977).

Opinion

DOROTHY A. ARMSTRONG, Transferee, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Armstrong v. Commissioner
Docket No. 7056-73
United States Tax Court
T.C. Memo 1977-30; 1977 Tax Ct. Memo LEXIS 408; 36 T.C.M. (CCH) 137; T.C.M. (RIA) 770030;
February 7, 1977, Filed
*408

Petitioner's transferor sold all of its assets in a sec.337 sale. Held, The portion of the sales price allocable to the sec. 1245 assets is less than the adjusted basis thereof. Hence no depreciation is required to be recaptured pursuant to sec. 1245.

Ben Weisel and Vinson Brice, for the petitioner.G. W. McDonald, for the respondent.

STERRETT

MEMORANDUM OPINION

STERRETT, Judge: Respondent determined a deficiency in petitioner's Federal income tax for the taxable year ended November 30, 1969 in the amount of $101,855.14. This deficiency was determined against petitioner as transferee of the assets of California Bench Company under section 6901, I.R.C., 1954. Petitioner has conceded that she is the transferee of the assets of California Bench Company. Due to concessions by petitioner, the sole issue for decision is the determination of the amount of depreciation required to be recaptured by the California Bench Company pursuant to section 1245 upon the sale of its assets. The resolution of this issue rests upon proper allocation of the purchase price among the various assets sold.

All of the facts have been stipulated and are so found. The stipulation of facts, together with *409 the exhibits attached thereto, are incorporated herein by this reference.

Petitioner, Dorothy A. Armstrong, resided in Long Beach, California at the time she filed her petition herein. The deficiency in the instant case stems from petitioner's liability as transferee of the assets of California Bench Company (hereinafter CBC). CBC filed its corporate income tax return for its taxable year ended November 30, 1969 with the district director of internal revenue, Los Angeles, California.

Prior to 1966 CBC, owned by the Armstrong family, and Bench Ad Company, owned by Bruce Guess, were both engaged in the bus-stop bench advertising business in California. On September 30, 1966 Bruce Guess sold his stock in Bench Ad Company to CBC for $408,000. On the same day CBC dissolved Bench Ad Company and allocated the stock purchase price to the assets received in liquidation. In so doing, CBC allocated $308,400 to used benches and utilized this amount in computing its depreciation deduction with respect to the benches on its return for its 1967 taxable year. The district conference report 1, dated January 21, 1970, relating to that taxable year shows among other proposed adjustments, the following: *410

(a) Depreciation - benches ($15,000.00 )

Based upon additional information submitted in conference it was determined that the 4000 used benches acquired from Bench Ad Co., had an average fair market value of $40.00 each. Allowable depreciation for the year ended November 30, 1967 is as follows:

4000 benches $40.00 EA.= $160,000.00
Depreciation = $160,000.00 X 15% =$24,000.00
Depreciation per return =46,260.00
Adjustment as corrected in conference$22,260.00
Adjustment per Revenue Agent's Report37,260.00
Decrease to proposed adjustment($15,000.00)

The balance of the price paid to Bench Ad Co., or $148,400, was the price paid for the franchises and, thus, the value of the locations of the benches.

In 1968 both Lucille Armstrong, president and 64.6 percent stockholder of CBC, and Robert Armstrong, secretary and 33.2 percent stockholder of CBC, died leaving CBC without adequate management. 2 Subsequently, Bruce Guess was hired as president of CBC and, thereafter, efforts were made to sell the stock or assets of CBC. On March 27, 1969, operating assets having an adjusted basis per return of $347,100.99, were *411 sold to ACME Bench Ad Company for $510,000. 3

Among the assets sold were 14, 753 benches having a total adjusted basis of $136,585.99. Each bench is covered by a city permit for a specific location. These permits are renewable annually upon payment of a fee. Post-1961 depreciation claimed on the depreciable assets sold totaled $198,343.56. The contract for sale contained no allocation of the purchase price among the various assets sold.

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1977 T.C. Memo. 30, 36 T.C.M. 137, 1977 Tax Ct. Memo LEXIS 408, Counsel Stack Legal Research, https://law.counselstack.com/opinion/armstrong-v-commissioner-tax-1977.