Broadhead Trust v. Commissioner

1972 T.C. Memo. 196, 31 T.C.M. 975, 1972 Tax Ct. Memo LEXIS 62
CourtUnited States Tax Court
DecidedSeptember 7, 1972
DocketDocket Nos. 844-68, 3710-69.
StatusUnpublished

This text of 1972 T.C. Memo. 196 (Broadhead Trust 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
Broadhead Trust v. Commissioner, 1972 T.C. Memo. 196, 31 T.C.M. 975, 1972 Tax Ct. Memo LEXIS 62 (tax 1972).

Opinion

The Sam Broadhead Trust, by S. Norris Broadhead, Paul E. Broadhead, Executors-Trustees, et al. 1 v. Commissioner.
Broadhead Trust v. Commissioner
Docket Nos. 844-68, 3710-69.
United States Tax Court
T.C. Memo 1972-196; 1972 Tax Ct. Memo LEXIS 62; 31 T.C.M. (CCH) 975; T.C.M. (RIA) 72196;
September 7, 1972
deQuincy V. Sutton, 401 Greater Mississippi Life Bldg., Meridian, Miss., for the*64 petitioners. James D. Burroughs, for the respondent.

DAWSON

Memorandum Findings of Fact and Opinion

DAWSON, Judge: The trial of these consolidated cases was held in Birmingham, Alabama, before Commissioner James M. Gussis of this Court. His report, which contains findings of fact, was submitted to the Chief Judge. The parties have filed some exceptions to the findings of fact. With minor variations we have adopted the findings of fact made by the trial commissioner and they are set forth below.

Respondent determined the following deficiencies in estate tax, income tax and additions to tax:

Docket No. 844-68
Addition to Tax
YearIncome TaxSection 6651(a)
1965DeficiencyI.R.C. 1954
The Sam Broadhead Trust, By: S. Norrisbroad- head, Paul E. Broadhead, Executors-Trustees$39,211.02$18,163.27
976
Docket No. 3710-69
Estate Tax
Deficiency
Estate of Sam E. Broadhead (Deceased), By: S. Norris Broadhead, Paul E. Broadhead, Executors$982,745.44

The issues in Docket No. 844-68 are (1) whether respondent properly disallowed deductions in 1965 for oil operations expenses in the amount of $21,204.57; *65 (2) whether respondent properly disallowed deductions in 1965 for land management expenses and insurance costs in the total amount of $7,679.42; (3) whether the petitioner realized capital gains in 1965 in the amount of $156,844.29 in excess of the amount reported; (4) whether the petitioner (Sam Broadhead Trust) is entitled to a trust exemption of $100 under section 642(b) of the Internal Revenue Code of 19542 rather than the amount of $600 claimed by petitioner; and (5) whether the petitioner is liable for additions to tax in 1965 under section 6651(a).

The issues in Docket No. 3710-69 are (1) the fair market value of the Sturgis lands (Arkansas) on February 6, 1965, the date of decedent's death; (2) the fair market value of the Stewart lands (Arkansas) as of the date of decedent's death; (3) the fair market value of the Pierce-Williams lands (Arkansas) as of the date of the decedent's death; (4) the fair market value of a residence and acreage (located in Lumberton, Mississippi) as of the date of decedent's death; (5) the fair market value*66 as of the date of decedent's death of two notes, plus interest, due from J. E. Stack, Jr.; (6) whether a widow's allowance of $12,000 was an allowable deduction from the gross estate in computing the taxable estate; (7) whether the capital stock of The Lamar Hotel Corporation (Meridian, Mississippi) was includable in decedent's gross estate as property owned by decedent at the time of his death; (8) whether the Estate of Sam E. Broadhead may deduct from the gross estate the amount of $300,000 as a charitable bequest under section 2055 for the purported transfer of the stock in The Lamar Hotel Corporation to the Sam Broadhead Foundation; (9) whether the Estate of Sam E. Broadhead is entitled to deductions in computing the taxable estate for Federal income tax liabilities of the decedent in the amounts of $222,249.73, $3,395.35, $285,182.16, $100,000 and $400,000 for the years 1961 through 1965, respectively; and (10) whether the Estate of Sam E. Broadhead may deduct estimated Mississippi and Louisiana income tax liabilities in the total amount of $65,000 in computing the taxable estate.

Some adjustments and issues have been conceded in whole or in part and can be given effect in the*67 Rule 50 computations.

Findings of Fact

Some of the facts were stipulated by the parties. The stipulation of facts and exhibits attached thereto are incorporated herein by this reference.

At the opening of the trial (involving Docket Nos. 844-68 and 3710-69) the parties agreed that the record in the earlier trial (involving Docket Nos. 5127-65, 1836-66, 728-68 and 1340-68) was applicable to the issues here involved.

Sam E. Broadhead died testate on February 6, 1965. His two sons, S. Norris Broadhead and Paul E. Broadhead, were named in the will as executors of the estate. On August 8, 1966, the Estate of Sam E.

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Bluebook (online)
1972 T.C. Memo. 196, 31 T.C.M. 975, 1972 Tax Ct. Memo LEXIS 62, Counsel Stack Legal Research, https://law.counselstack.com/opinion/broadhead-trust-v-commissioner-tax-1972.