Boe v. Commissioner

35 T.C. 720, 1961 U.S. Tax Ct. LEXIS 237
CourtUnited States Tax Court
DecidedJanuary 31, 1961
DocketDocket No. 73825
StatusPublished
Cited by80 cases

This text of 35 T.C. 720 (Boe 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
Boe v. Commissioner, 35 T.C. 720, 1961 U.S. Tax Ct. LEXIS 237 (tax 1961).

Opinion

FORRESTER, Judge:

Respondent has determined deficiencies in petitioners’ income tax for the taxable years 1952, 1953, and 1954 as follows:

Year Deficiency
1952_$20, 852.16
1953_ 2, 759.14
1954_ 6, 551. 33

The sole issue remaining for our consideration is whether petitioners may deduct the cost of medical service contracts which were terminated during each of the years before us, and if so, the cost of these contracts.

FINDINGS OF FACT.

Some of the facts have been stipulated and are incorporated herein by tliis reference.

Richard M. Boe, also known as M. Richard Boe, and Mary Lois Boe are husband and wife residing in Alameda, California. They filed timely j oint income tax returns for the years in question, including an amended return for the year 1954, with the district director of internal revenue at San Francisco, California.

Richard M. Boe, hereinafter referred to as petitioner, is a medical doctor, and has been engaged in the practice of medicine since 1920. Beginning in 1929, and continuing (except for service in the United States Navy from 1942 to 1946) until August 1, 1947, petitioner was employed by Ferd W. Callison, M.D., hereinafter referred to as Cal-lison. For 25 years prior to August 1, 1947, Callison had been engaged in a contract medical practice in San Francisco and environs, including Alameda.

This medical, surgical, and hospital service practice consisted of contracts between subscribers and F. W. Callison, M.D., & Staff, wherein the Staff, of which petitioner was a member, agreed to provide comprehensive health care in return for the regular payment, usually for 6 months in advance, of a sum designated as “Dues.” These contracts were terminable at will by either party upon written notice.

Prior to August 1, 1947, Callison wished to retire from practice and dispose of the membership contracts and his organization. One of the members of Callison’s staff, Frank W. Gorham, M.D., interested three other younger doctors in purchasing the organization, and negotiated with Callison for the sale thereof. This group, consisting of Gorham, petitioner, William P. Gilbert, M.D., and George Hepp-ner, M.D., examined the amount and nature of the contracts, and on July 23, 1947, purchased the contract medical practice from Callison. Pertinent parts of the purchase agreement follow:

This Agreement, made and executed this 23rd day of July, 1947, by and between F. W. CALLISON of San Francisco, California, First Party, and FRANK W. GORHAM, WILLIAN P. GILBERT, and GEORGE J. HEPPNER, of San Francisco, California, and M. R. BOE, of Alameda, California, jointly and severally, Second Parties,
WITNESSETH:
Whereas, First Party has conducted and operated a contract medical practice on a group and individual basis rendering medical, surgical and hospital services in connection with agreements with individuals and groups, and
Whereas, the Second Parties have been associated with the First Party in the conduct of such practice and are thoroughly familiar with the procedure, policies and obtaining of said practice and conversant with the records, files and financial details of said practice and are desirous of continuing and expanding the operation of such practice, and
Whereas, it is agreed among all of the parties hereto that the Goodwill is an important and the principal part of the assets being sold by First Party to Second Parties.
Now, Therefore, for and in consideration of the premises and of the terms, covenants and conditions hereof, the Parties do hereby mutually agree as follows:
I
The effective date of this Agreement shall be 12:00 midnight, July 31, 1947.
II
First Party does hereby sell, assign, transfer, set over, and deliver unto Second Parties all of the right, title, and interest in and to the contract medical practice known and operated and conducted by First Party, including, without in any wise limiting the generality of the foregoing, all of the following:
(a) The Goodwill of the said practice;
(b) All moneys and things of value receivable or received which have accrued or may accrue after the effective date hereof on or for the account of said practice including prepaid dues paid for services to be rendered after July 31, 1947.
(c) All interest of every kind and character in all contracts, understandings or arrangements with individuals or groups for medical, surgical, and/or hospital services. The First Party represents that no individual or group contracts as specified herein are or shall be retained by First Party, and that all such contracts and agreements are hereby transferred by First Party to the Second Parties;
(d) That portion of the furniture, fixtures, fittings, instruments, and equipment, together with the records and all other personal property and chattels, as more specifically set forth in Exhibit “A” hereto attached, the title to which is to be retained and remain in the First Party, and will be left by First Party on the premises hereinafter described, until the delivery of the Bill of Sale, as hereinafter provided to be made to Second Parties.
*******
(e) The medical and surgical supplies, drugs and accessories used in connection with said practice.
****** *
IV
The purchase price to be paid by Second Parties to First Party for said property hereby sold and transferred shall be the sum of $255,000, to be placed in escrow by Second Parties upon the execution hereof, payable to the First Party upon the effective date hereof.
The purchase price and consideration aforesaid is divided as follows:
(a) The furniture, fixtures, fittings, instruments and equipment together with all other personal property and chattels as more specifically set forth in Exhibit “A” hereto attached, at a value equal to the amount reflected on the books of the First Party on the effective date hereof at the cost of each and all of the items thereof less depreciation if any.
(b) The balance thereof to the Goodwill and other properties hereby transferred of said practice.
*******
VI
The said Second Parties hereby specifically covenant and agree * * * to carry on, maintain and develop said practice to the best of their ability in maintaining the good will and public regard held thereof.

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Bluebook (online)
35 T.C. 720, 1961 U.S. Tax Ct. LEXIS 237, Counsel Stack Legal Research, https://law.counselstack.com/opinion/boe-v-commissioner-tax-1961.