Brubaker v. Commissioner

28 T.C. 1281, 1957 U.S. Tax Ct. LEXIS 74
CourtUnited States Tax Court
DecidedSeptember 30, 1957
DocketDocket No. 57621
StatusPublished
Cited by5 cases

This text of 28 T.C. 1281 (Brubaker 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
Brubaker v. Commissioner, 28 T.C. 1281, 1957 U.S. Tax Ct. LEXIS 74 (tax 1957).

Opinion

Atkins, Judge:

The respondent determined transferee liability against the petitioner for deficiencies in tax of Joliet Properties, Inc., as follows: A deficiency in declared value excess-profits tax for the taxable year ended January 31, 1946, in the amount of $1,196.96, and deficiencies in income tax for the taxable years ended January 31, 1947 and 1948, in the respective amounts of $7,090.37 and $2,213.80.

The petitioner has conceded that she is the transferee of assets of the corporation and that in the event of a finding of additional tax liability she is liable therefor as transferee. An issue as to depreciation raised by the pleadings has been conceded by the petitioner. The only issue remaining for consideration relates to a bad debt deduction in the amount of $37,967.68 claimed by the corporation for the taxable year ended January 31, 1947. The taxable years ended January 31, 1946 and 1948, are not involved except insofar as the petitioner contends that they may be affected by a carryback or carryover of a net operating loss for 1947, which depends upon the bad debt deduction issue.

FINDINGS OF FACT.

The petitioner is an individual residing in Wheaton, Illinois. Joliet Properties, Inc., the transferor corporation, filed its income and declared value excess-profits tax return for the taxable year ended January 31, 1946, and its income tax returns for the taxable years ended January 31, 1947 and 1948, with the collector of internal revenue for the first district of Illinois. The petitioner’s husband, Henry J. Brubaker, will hereinafter sometimes be referred to as Brubaker.

Henry J. Brubaker and Kenneth F. Nash first became associated in business in July 1944, and thereafter were associated with others in organizing and operating various business enterprises. In 1946 the enterprises in which they had interests were Joliet Properties, Inc., Crest Chemicals, Inc., Joliet Chemicals, Ltd., Joliet Industrials, Inc., and Desplaines Oil Company.

Joliet Properties, Inc., was incorporated in Illinois in January 1945. The business of the corporation consisted of renting buildings which it owned to various commercial tenants. In October and November 1946, Brubaker (and the petitioner), J. H. Lahman, and Nash owned all the stock, as follows: Brubaker and his wife (the petitioner), 3,333 shares; J. H. Lahman, 3,333 shares; and Nash, 3,334 shares. As officer or director or both, Brubaker was active in the management and control of the company until its dissolution in 1950. Among his duties was that of obtaining tenants for the buildings and negotiating the lease arrangements.

In October and November 1946, Nash was indebted to J diet Properties, Inc., on obligations amounting to $65,467.68, consisting of $2,-178.66 on open account for unexpended funds advanced by the corporation to him as trustee for the purchase of certain properties for the corporation; $1,354.33 on a note issued on or before January 31, 1946, for the unpaid balance of the purchase price of certain Florida real estate; $16,154.90 on a note given on or before January 31, 1946, toward the purchase of certain Florida real estate; $28,500 on a note given by him to the corporation for the interest of the corporation in the limited partnership called Joliet Chemicals, Ltd.; and $17,-279.79 on a note of both Nash and his wife, secured by a mortgage on certain real estate in Miami Beach, Florida.

Brubaker and others associated with Nash in business were dissatisfied with his business methods and practices. They believed that he was seeking to further his own financial ends at the expense of his partners and associates. They also disliked his personal activities, such as betting on horseraces. Their business relations with Nash which had previously been amicable deteriorated to such a point that it was finally deemed necessary to sever all business relations with him. The immediate, precipitating factor in this final determination was a transaction involving a sale of realty by Joliet Properties, Inc., to another through Nash for $20,000, of which only $4,000 was remitted by Nash to the corporation.

On October 7, 1946, Nash bought all the then outstanding interests in the limited partnership, Joliet Chemicals, Ltd., for $108,000. Apparently he had previously acquired the interest of Joliet Properties, Inc., in that partnership for $28,500, for which he had given the note referred to hereinabove. The partnership was dissolved and Nash thus acquired all the assets of the partnership, including the assets of Crest Chemicals, Inc., the stock of which had been owned by the partnership. To raise money to pay the $108,000 for the partnership interest, Nash borrowed $55,000 from one Hansen, giving a chattel mortgage on the assets of the partnership, and borrowed $50,000 or more from a chemical company, also giving a mortgage to secure that indebtedness. On October 7, Nash also sold his residence to Hansen for an undisclosed amount.

On. November 26, 1946, Brubaker entered into an agreement with Lahman, referred to therein as an option, to purchase Lahman’s stock in Joliet Properties, Inc., and Midwest Chemical Company (name changed to Desplaines Oil Company) for $20,000. Brubaker made a downpayment of $5,000 on November 26 and completed payment on December 6, 1946, at which time he received a bill of sale for the stock in the two corporations.

On November 25, Brubaker entered into an agreement with Nash to acquire Nash’s stock in Joliet Properties, Inc., and Midwest Chemical Company. The contract provides as follows:

Mr. Nash, as sole owner of all of the assets of what was formerly Joliet Chemicals, Ltd., will assign a claim of Joliet Chemicals, Ltd. [against Desplaines Oil Company] in the amount of $22,476.26 to Joliet Properties, Inc.
He will assign his 260 shares of stock in Desplaines Oil Company, a Corporation, formerly Midwest Chemical Company, to Mr. Brubaker.
He will also assign his 3334 shares of stock in Joliet Properties, Inc. to Mr. Brubaker.
In consideration of the foregoing, Mr. Brubaker will cause to be returned and cancelled to Mr. Nash all of the obligations of Mr. Nash and Wanda C. Nash, his wife, to Joliet Properties, Inc., consisting of open account of $2178.66; note for $1354.33; note for $16,154.90; note secured by mortgage for $17,279.79; and cancellation of obligation of Mr. Nash to Joliet Properties, Inc., in connection with the recent sale by Joliet Properties, Inc. to Mr. Nash, at $28,500.00 of certain interests which Joliet Properties, Inc. acquired prior hereto in Joliet Chemicals, Ltd.; and will also pay Mr. Nash in cash the sum of $10,000.00.
Mr. Nash acknowledges receipt of $5,000.00 to apply on said cash payment.

At a meeting of the board of directors of Joliet Properties, Inc., on November 26, 1946, Brubaker, who had been secretary, became president. The minutes recite as follows:

The President then reported that he had completed arrangements which he considers advantageous to the company, whereby he has purchased from Kenneth S’. Nash, 3334 shares of the capital stock of this corporation.
The President further, stated that in order to compensate Kenneth F.

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Brubaker v. Commissioner
28 T.C. 1281 (U.S. Tax Court, 1957)

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Bluebook (online)
28 T.C. 1281, 1957 U.S. Tax Ct. LEXIS 74, Counsel Stack Legal Research, https://law.counselstack.com/opinion/brubaker-v-commissioner-tax-1957.