Atkinson v. Commissioner

1984 T.C. Memo. 378, 48 T.C.M. 577, 1984 Tax Ct. Memo LEXIS 292
CourtUnited States Tax Court
DecidedJuly 24, 1984
DocketDocket No. 4179-83
StatusUnpublished

This text of 1984 T.C. Memo. 378 (Atkinson 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
Atkinson v. Commissioner, 1984 T.C. Memo. 378, 48 T.C.M. 577, 1984 Tax Ct. Memo LEXIS 292 (tax 1984).

Opinion

DONALD LEE ATKINSON and EMMA J. ATKINSON, Petitioners, v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Atkinson v. Commissioner
Docket No. 4179-83
United States Tax Court
T.C. Memo 1984-378; 1984 Tax Ct. Memo LEXIS 292; 48 T.C.M. (CCH) 577; T.C.M. (RIA) 84378;
July 24, 1984.
Donald Lee Atkinson, pro se.
James R. Million, for the respondent.

SWIFT

MEMORANDUM FINDINGS OF FACT AND OPINION

SWIFT, Judge: In a statutory notice mailed on November 30, 1982, respondent determined a deficiency of $16,930.59 in petitioners' Federal income tax liability for 1977. After concessions, the only issue remaining for decision is whether petitioners are entitled to a claimed $75,000 bad*293 debt deduction in connection with payments they were required to make under personal guarantees of loans of a closely held corporation.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found.

The petitioners, Donald Lee and Emma J. Atkinson, are husband and wife and resided in Holden, Missouri, at the time they filed their petition herein. Petitioners timely filed their 1977 joint Federal income tax return. Although Emma J. Atkinson was not actively involved in the business, she did join in executing the loan guarantees described below. Subsequent references to "petitioner" refer only to Donald Lee Atkinson.

Petitioner has been involved in various aspects of the electronics business for approximately twenty years. He was a full time employee of several major electronics companies from 1959 through 1965. After 1965, he was employed as a television repairman for approximately five years.

In or about 1970, petitioner became self-employed as a radio and television repairman and he performed contract work for various companies in Missouri. Although the time frame is unclear from the record, petitioner also was involved as a partner in a partnership which*294 operated a retail C.B. radio store in Chilahowee, Missouri. In addition, petitioner owned a farm and was engaged in farming throughout the 1970's.

Petitioner decided in 1975 to import C.B. radios and sell them at retail. He enlisted the services of David Erisman, who had some prior experience in the import business, to assist him. Petitioner and Mr. Erisman decided to form a corporation to conduct the business. They incorporated Power Communications, Inc. (hereinafter referred to as "Power") under the laws of the State of Missouri on October 6, 1975. Petitioner and David Erisman have each owned 50% of the outstanding stock of Power since its incorporation. Upon incorporation, each contributed $250 for a total of $500 invested capital. The reason only $500 was invested in Power upon incorporation is that this was the minimum capital required for a corporation in the State of Missouri in 1975.

In order to finance acquisition of Power's opening inventory of radios, a loan was obtained in the name of Power in the amount of $17,537.50 from the Farmers and Commercial Bank of Holden, Missouri, on February 23, 1976. This loan was evidenced by a note and was personally guaranteed*295 by petitioners. The record does not indicate whether Mr. Erisman participated in the guarantees. Two deeds of trust and 250 C.B. radios were given as security for the loan.

A second loan was obtained in the name of Power from the same bank on May 25, 1976, in the amount of $65,000. This loan also was personally guaranteed by petitioners and was evidenced by a note. The security given for this loan was the same as for the first loan, with the addition of 1,000 C.B. radios. The proceeds of this loan also were used to purchase C.B. radios for Power's inventory.

For unexplained reasons, the first note was rewritten on May 24, 1977, and the second note was rewritten on August 16, 1977. Each of the new notes reflected petitioners, rather than Power, as the maker of the note. In 1977, Power was experiencing financial difficulties and was unable to make payments on the notes. Therefore, petitioner was called upon by the bank creditor to pay $74,892.50 pursuant to his personal guarantees. Of this amount, petitioner actually paid a total of $22,987.50 in 1977. Power has not repaid petitioner any portion of the $22,987.50, and Power ceased doing business in 1977. Petitioners reported*296 a $75,000 business bad debt deduction on their 1977 joint Federal income tax return with respect to the loan guarantees.

Power obtained additional loans from the Farmers and Commercial Bank of Holden, Missouri, on the following dates and in the following amounts:

DateAmount
Dec. 18, 1975$ 6,000.00
Dec. 19, 197513,000.00
Jan. 12, 197619,000.00
Jan. 15, 197625,750.00
Aug.  4, 19764,392.50
Sep. 14, 197610,000.00
Oct. 16, 19762,000.00
Oct. 29, 1976500.00
Jan. 20, 197716,592.53
Total Additional Loans1 $97,235.03

With respect to the loans listed immediately above, the stipulation states: "These notes were repaid at various times by Power or petitioners. Petitioners were guarantors on some, and probably all, of the above notes."

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1984 T.C. Memo. 378, 48 T.C.M. 577, 1984 Tax Ct. Memo LEXIS 292, Counsel Stack Legal Research, https://law.counselstack.com/opinion/atkinson-v-commissioner-tax-1984.