Bradley v. Comm'r

2005 T.C. Memo. 223, 90 T.C.M. 317, 2005 Tax Ct. Memo LEXIS 222
CourtUnited States Tax Court
DecidedSeptember 26, 2005
DocketNo. 19074-02
StatusUnpublished

This text of 2005 T.C. Memo. 223 (Bradley v. Comm'r) 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
Bradley v. Comm'r, 2005 T.C. Memo. 223, 90 T.C.M. 317, 2005 Tax Ct. Memo LEXIS 222 (tax 2005).

Opinion

CHARLES E. AND NOEL K. BRADLEY, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Bradley v. Comm'r
No. 19074-02
United States Tax Court
T.C. Memo 2005-223; 2005 Tax Ct. Memo LEXIS 222; 90 T.C.M. (CCH) 317;
September 26, 2005, Filed

*222 Ps excluded $ 12 million of a $ 76 million settlement from gross

   income for the 1995 taxable year pursuant to sec. 104 (a)(2),

   I.R.C. R determined the $ 12 million was not excludable.

   Held: Ps are not entitled to exclude the $ 12 million

   settlement amount from gross income.

Charles E. and Noel K. Bradley, pro sese.
Robert E. Marum, for respondent.
Wherry, Robert A., Jr.

ROBERT A. WHERRY, JR.

MEMORANDUM FINDINGS OF FACT AND OPINION

WHERRY, Judge: Respondent determined a deficiency in petitioners' Federal income tax for the 1995 taxable year in the amount of $ 4,676,578 and a penalty pursuant to section 6662(a) in the amount of $ 914,025. 1 After concessions, 2 the sole issue for decision is whether the $ 12 million petitioners received pursuant to a settlement is excludable from income under section 104(a)(2).

*223 FINDINGS OF FACT

I. Background

Some of the facts have been stipulated and are so found. The stipulations of the parties, with accompanying exhibits, are incorporated herein by this reference. At the time this petition was filed, petitioners resided in Darien, Connecticut. Noel K. Bradley is a party to this case only because she filed a joint Federal income tax return with her spouse, Charles E. Bradley (petitioner or Mr. Bradley), for their 1995 tax year.

Mr. Bradley received his bachelor's degree in economics from Yale University in 1951 and his M.B.A. degree in accounting from New York University School of Business in 1957. After his graduation from Yale, petitioner worked at Price Waterhouse until 1953 when he joined the U.S. Navy as a lieutenant junior grade. He returned to Price Waterhouse in 1956 where he continued to work until 1967, eventually becoming a general partner of the accounting firm. From 1967 to 1971, petitioner worked as an executive vice president of the investment banking firm, Laird, Inc., starting his career in leveraged buyouts. Since 1967, petitioner has served in executive and board positions with many companies, including president of Stanwich Investment*224 Co. and Stanwich Partners, Inc. (Stanwich). During 1992-95, petitioner was embroiled in a number of lawsuits related to his business endeavors, the settlement of six of which resulted in the settlement payments at issue in this case (the Six Lawsuits). 3

*225    A. Ownership of Oralco, Inc.

In 1986, petitioner, together with Robert E. Boyle (Mr. Boyle), and William R. Strothotte 4*226 (Mr. Strothotte), founded and incorporated Oralco, Inc. (Oralco, or following a name change after its reorganization, in 1994, Ormet), 5 a Delaware corporation with its principal place of business in Wheeling, West Virginia. During 1990 through 1995, Oralco was a holding company owning 100 percent of the stock of Ohio River Associates, Inc. (ORA), and Oralco Management Services, Inc. (OMS). From 1992 through 1995, OMS served as the managing company for the original Ormet. ORA owned 100 percent of the stock of Ormet Corporation6 (Ormet, or following a name change after its reorganization, in 1994, Ormet Primary Aluminum Corporation), a corporation organized under the laws of Delaware with its principal place of business in Hannibal, Ohio. ORA, like Oralco, was a Delaware corporation, headquartered in Wheeling, West Virginia. Ormet was engaged in the production of commodities, specifically alumina, primary aluminum, and fabricated aluminum products.

Prior to April 21, 1992, Oralco stock was held by Mr. Boyle (48.387 percent), Mr. Strothotte (19.355 percent), and petitioner, individually and as trustee of a voting trust (32.258 percent). 7 At all relevant times, Oralco had 1,000,000 shares authorized but only had 500,000 shares issued and outstanding. On October 11, 1989, Mr. Boyle, Mr. Strothotte, and petitioner entered into a stockholder's agreement (1989 Stockholder's*227 Agreement) whereby, inter alia: (1) Each stockholder had the right to designate one of the three members of Oralco's board of directors, (2) each stockholder agreed not to sell his shares to any other stockholder, except as permitted by the agreement, and (3) termination of the agreement was allowed by a stockholder holding shares representing at least two-thirds of the voting power of all outstanding Oralco shares.

   B. The Signal and Costar Loans

During 1992 through 1995, petitioner, Mr. Seibert (through

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2005 T.C. Memo. 223, 90 T.C.M. 317, 2005 Tax Ct. Memo LEXIS 222, Counsel Stack Legal Research, https://law.counselstack.com/opinion/bradley-v-commr-tax-2005.