Braun v. Commissioner
This text of 1971 T.C. Memo. 144 (Braun 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.
Opinion
Memorandum Findings of Fact and Opinion
TANNENWALD, Judge: Respondent determined deficiencies in petitioners' income taxes as follows:
| Taxable year ended | Deficiency |
| December 31, 1964 | $ 9,091.49 |
| December 31, 1965 | 17,621.53 |
| December 31, 1966 | 21,011.95 |
| December 31, 1967 | 10,732.22 |
The sole issue for determination is whether net cash withdrawals by petitioner Carl G. Braun from a corporation in each of the years in issue constituted bona fide loans or taxable dividends under sections 301 and 316. 1
*192 Some of the facts have been stipulated and are found accordingly.
Petitioners, husband and wife during the years in issue, were legal residents of New Jersey at the time the petitions herein were filed. They filed joint income tax returns for the taxable years 1964, 1965, 1966, and 1967 with the district director of internal revenue, Newark, New Jersey. Petitioner Virginia M. Braun is a party to this proceeding only because she joined in such returns. All references herein to petitioner shall be deemed to mean Carl G. Braun.
During the years involved herein, petitioner was the president and chief executive officer of Branson Corp. (hereinafter sometimes referred to as "the corporation"). Branson Corp. was incorporated in 1948 as the Carl G. Braun Corporation; the corporation's initial financing was obtained from A. J. Wittenberg, the father of petitioner Virginia M. Braun and the fatherin-law of petitioner Carl G. Braun.
During the years in issue, the stock of the corporation was held as follows:
| Preferred | Common | |
| (a) Carl G. Braun | 150 shares | |
| (b) L. Kirby, Jr. | 50 shares 2 | |
| (c) A. J. Wittenberg | 10 shares | 150 shares |
*193 During the same period, petitioner was the only shareholder actively engaged in the affairs of the corporation, he was the only salaried shareholder, and he and his wife constituted a majority of the board of directors.
Petitioner had a regular practice of withdrawing money from the corporation in varying amounts. Petitioner would have the corporation's accountant issue him a check for the amount desired. The amount was debited on the books of the corporation to an account designated "Due To and From Officers."
During the taxable years in issue, petitioner's salary from the corporation was:
| Taxable year | Amount |
| 1964 | $50,000 |
| 1965 | 50,000 |
| 1966 | 70,000 |
| 1967 | 60,000 |
| Net amount of peti- | |
| Year | tioner's withdrawals |
| 1964 | $20,083.89 |
| 1965 | 39,531.87 |
| 1966 | 41,585.60 |
| 1967 | 24,499.10 |
No independent cash repayments of the amounts withdrawn were made by the petitioner. Instead, credit entries were made to the account, representing his salary and certain unreimbursed out-of-pocket expenses incurred by petitioner on behalf of the corporation.
*194 None of the other shareholders of the corporation was ever consulted about these withdrawals by the petitioner nor was any action taken by the board of directors or shareholders of the corporation with respect thereto.
During the taxable years involved, no notes, security, collateral, or other similar indicia of indebtedness were created to evidence these alleged loan transactions, no payments of interest were provided for or made, no plan for repayment was in effect, and the corporation made no attempt to collect from petitioner any of the amounts withdrawn. Petitioner's only source of income from which he could repay the amounts withdrawn was the salary he received as an executive officer of the corporation.
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1971 T.C. Memo. 144, 30 T.C.M. 624, 1971 Tax Ct. Memo LEXIS 191, Counsel Stack Legal Research, https://law.counselstack.com/opinion/braun-v-commissioner-tax-1971.