Bezdjian v. Commissioner

1987 T.C. Memo. 140, 53 T.C.M. 368, 1987 Tax Ct. Memo LEXIS 132
CourtUnited States Tax Court
DecidedMarch 16, 1987
DocketDocket No. 13306-82.
StatusUnpublished
Cited by8 cases

This text of 1987 T.C. Memo. 140 (Bezdjian 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
Bezdjian v. Commissioner, 1987 T.C. Memo. 140, 53 T.C.M. 368, 1987 Tax Ct. Memo LEXIS 132 (tax 1987).

Opinion

GARBIS S. BEZDJIAN AND MAIDA M. BEZDJIAN, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Bezdjian v. Commissioner
Docket No. 13306-82.
United States Tax Court
T.C. Memo 1987-140; 1987 Tax Ct. Memo LEXIS 132; 53 T.C.M. (CCH) 368; T.C.M. (RIA) 87140;
March 16, 1987.
Dennis R. DiRicco and Bernard P. Kenneally, for the petitioners.
Barbara Leonard, for the respondent.

CLAPP

MEMORANDUM FINDINGS OF FACT AND OPINION

CLAPP, Judge: Respondent determined deficiencies in petitioners' 1978 and 1979 Federal income taxes in the amounts of $37,594.00 and $2,417.00, respectively. The issue for decision is whether the transaction described below satisfies the "exchange" requirement of section 1031. 1

FINDINGS OF FACT

Some of the facts have been stipulated and are found accordingly. The stipulation of facts and the exhibits attached thereto are incorporated*133 by this reference.

During 1978, Shell Oil Company (Shell), conveyed to petitioners property located at 1199 Broadway/Laguna, Burlingame, California (Broadway property), and petitioners conveyed to Roberta and Barbara Levey (Leveys) property located at 1236 El Camino Real, Burlingame, California (El Camino property).

Prior to March 21, 1978, Garbis Bezdjian (petitioner) and representatives of Shell negotiated for the sale of the Broadway property from Shell to petitioner. The representatives informed petitioner that the price of the property was $175,000. Petitioner asked the representatives if Shell was interested in exchanging the Broadway property for other real property. The representatives refused to participate in such an exchange and informed petitioner that Shell was only interested in selling the property for cash.

On March 21, 1978, Shell informed petitioner that he had 30 days to purchase the property for $175,000 and that the sale had to close by September 15, 1978.

On April 13, 1978, petitioner deposited $10,000 of earnest money with Shell. Two days later, petitioner offered, as consideration for the purchase of the Broadway property, to deposit $175,000 in escrow*134 at the Title Insurance and Trust Company (Title Insurance escrow) by September 15, 1978. On May 18, 1978, Shell accepted petitioner's offer.

Three days after petitioner and Shell executed a written contract, petitioner contacted Armen Sossikian (Sossikian), a real estate agent, to discuss with him the sale of the El Camino property. Petitioner told Sossikian that he wanted him to close the Broadway and El Camino properties simultaneously and that the proceeds from the sale of the El Camino property were to go to Shell via the Title Insurance escrow.

Because petitioner and Sossikian could not find a buyer for the El Camino property prior to September 15, 1978, the date of the Broadway property closing, petitioner negotiated a $165,000 loan from the Chartered Bank of London (Chartered Bank). As security for said loan, he executed a promissory note and deeds of trust on the El Camino property and his personal residence.

On August 22, 1978, Chartered Bank transferred the $165,000, which petitioner borrowed, to the Title Insurance escrow. On September 6, 1978, the Title Insurance escrow disbursed the funds in the escrow to Shell and recorded the deed which transferred the Broadway*135 property from Shell to petitioner.

On September 25, 1978, the Leveys, after refusing to participate in an exchange of the El Camino property for other real property, offered to purchase the El Camino property for $257,500. On that same day, petitioners accepted the Leveys' offer. Subsequent to petitioners' acceptance, the Leveys had trouble financing their purchase, and because of said trouble, petitioners and the Leveys modified their contract so that the purchase price would be $10,000 less, i.e., $247,500.

On October 6, 1978, petitioner opened an escrow at the Founders Title Company (Founders escrow) for the sale of the El Camino property.

To finance their purchase of the El Camino property, the Leveys obtained a $79,500 loan from Chartered Bank and assumed a $67,335.63 mortgage on the property. By December 4, 1978, Chartered Bank had deposited the $79,500, which the Leveys borrowed, and the Leveys had deposited the balance of the funds needed to purchase the El Camino property, in the Founders escrow.

On December 4, 1978, Founders escrow recorded a deed, which conveyed the El Camino Property to the Leveys, and disbursed $170,683.27 to Chartered Bank as repayment for*136 petitioners' $165,000 loan, plus accrued interest.

The following diagram chronologically depicts the steps which the participants took to effect the transfers:

[SEE ILLUSTRATION IN ORIGINAL]

Petitioners realized a gain from the sale of the El Caminio Property, but did not recognize said gain because they claimed that the transaction was subject to the nonrecognition provisions of section 1031. In a notice of deficiency, respondent determined that section 1031 did not apply because, pursuant to said section, petitioners' purchase of the Broadway property and sale of the El Camino property were not an "exchange."

OPINION

Section 1031(a)

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Bluebook (online)
1987 T.C. Memo. 140, 53 T.C.M. 368, 1987 Tax Ct. Memo LEXIS 132, Counsel Stack Legal Research, https://law.counselstack.com/opinion/bezdjian-v-commissioner-tax-1987.