Bear v. Commissioner

1979 T.C. Memo. 304, 38 T.C.M. 1182, 1979 Tax Ct. Memo LEXIS 222
CourtUnited States Tax Court
DecidedAugust 9, 1979
DocketDocket No. 7698-77, 7722-77.
StatusUnpublished

This text of 1979 T.C. Memo. 304 (Bear 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
Bear v. Commissioner, 1979 T.C. Memo. 304, 38 T.C.M. 1182, 1979 Tax Ct. Memo LEXIS 222 (tax 1979).

Opinion

JOHN L. BEAR, Transferee, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent; EDNA A. BEAR, Transferee, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Bear v. Commissioner
Docket No. 7698-77, 7722-77.
United States Tax Court
T.C. Memo 1979-304; 1979 Tax Ct. Memo LEXIS 222; 38 T.C.M. (CCH) 1182; T.C.M. (RIA) 79304;
August 9, 1979, Filed
*222

Before liquidating Brookridge adopted a plan of complete liquidation under sec. 337, I.R.C. 1954. Brookridge's primary assets consisted of an inventory of real property divided into lots. In preparing to liquidate, Brookridge entered into a real estate sales contract with a third party whereby Brookridge, and its assignees, promised to sell its entire remaining inventory to an independent third party purchaser, over what could be 2 years. Held: sale of inventory assets failed to qualify under sec. 337. Held further:Brookridge's liquidation failed to qualify under sec. 337 since contract to sell does not constitute a distribution of property subject to said contract.

Thomas F. McIntyre and Richard F. McDivitt, for the petitioners.
John Wendell Paul, for the respondent.

STERRETT

MEMORANDUM FINDINGS OF FACT AND OPINION

STERRETT, Judge:*

By letters dated April 21, 1977 respondent claimed deficiencies in income taxes against petitioners Edna A. Bear and John L. Bear, jointly and severally, in their capacities as transferees of *223 Brookridge Development Co., Inc. (Brookridge), a liquidated Kansas corporation. The claimed deficiency amounts are $923.66 for Brookridge's taxable year ended December 31, 1970 and $70,361 for Brookridge's short taxable period January 1, 1973 to October 31, 1973. After concessions, the only issue for our decision is whether or not Brookridge was entitled to the benefit of section 337, I.R.C. 1954, upon its liquidation. 1*224 The claimed deficiency for Brookridge's taxable year ended December 31, 1970 is the result of respondent's disallowance of a claimed net operating loss carryback to Brookridge's taxable year 1970 from its last taxable period. Our determination of the section 337 issue shall, therefore, automatically affect respondent's claim for Brookridge's 1970 taxable year.

FINDINGS OF FACT

The cases before us were consolidated for purposes of trial, briefing, and opinion by joint motion of the parties granted by the Court on October 2, 1978. The facts were fully stipulated and are so found. The stipulation of facts, and exhibits attached thereto are incorporated herein by this reference.

Petitioners, John L. and Edna A. Bear, husband and wife, resided in Shawnee Mission, Kansas at the time their petitions herein were filed. At all times relevant hereto Brookridge, a Kansas corporation, also had an address in Shawnee Mission, Kansas. During the taxable periods in issue each petitioner owned personally 39.5 percent of the stock of Brookridge.

Brookridge filed a United States corporate income tax return, on an accrual basis of accounting, for its short taxable period ended October 31, 1973 with the Austin Service Center, Austin, Texas. On January 14, 1974 Brookridge filed an application for tentative refund stemming from the carryback of a net operating loss from its October 31, 1973 return to its *225 1970 taxable year return. This application was accepted on May 25, 1974.

Sometime prior to its liquidation Brookridge purchased and subdivided for resale a tract of land in Overland Park, Kansas. Brookridge subdivided this parcel into 120 lots. The development was called Brookridge Estates. On October 13, 1972 Brookridge adopted a plan of complete liquidation and dissolution under section 337. At that time 38 of the original 120 subdivided lots in Brookridge Estates remained unsold.

On October 16, 1972 Brookridge entered into a contract with Pacesetter Homes Company (Pacesetter), an unrelated third party, with respect to these 38 lots. The relevant portions of this contract are set forth below:

The Seller [Brookridge] hereby agrees to sell and the Buyer [Pacesetter] hereby agrees to purchase, upon the terms and conditions provided for herein, certain lots in the Brookridge Estates Subdivision, * * * for the sum of Three Hundred Seventy Thousand Nine Hundred Twenty-five Dollars ($370,925.00), which the Buyer agrees to pay as follows: Ten Thousand Dollars ($10,000.00) at the signing of this contract, the receipt of which is hereby acknowledged by the Seller as part of the consideration *226 of the sale and shall apply to the purchase of the first ten (10) lots, along with a non-interest bearing note in the amount of Twenty Thousand Dollars ($20,000.00), which shall apply to the purchase of the last three (3) lots, which shall be no later than October 15, 1974.

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Bluebook (online)
1979 T.C. Memo. 304, 38 T.C.M. 1182, 1979 Tax Ct. Memo LEXIS 222, Counsel Stack Legal Research, https://law.counselstack.com/opinion/bear-v-commissioner-tax-1979.