Buder v. United States

221 F. Supp. 425, 12 A.F.T.R.2d (RIA) 5318, 1963 U.S. Dist. LEXIS 9422
CourtDistrict Court, E.D. Missouri
DecidedJuly 24, 1963
DocketNo. 61C 35(1)
StatusPublished
Cited by5 cases

This text of 221 F. Supp. 425 (Buder v. United States) is published on Counsel Stack Legal Research, covering District Court, E.D. Missouri primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Buder v. United States, 221 F. Supp. 425, 12 A.F.T.R.2d (RIA) 5318, 1963 U.S. Dist. LEXIS 9422 (E.D. Mo. 1963).

Opinion

HARPER, Chief Judge.

This action was instituted by the plaintiffs, Oscar E. Buder and Eugenia H. Buder, to recover income taxes and interest allegedly overpaid for the years 1955 and 1956 in the respective amounts of $10,194.68 and $9,081.88 plus statutory interest thereon. Computed on the basis of paragraph 11 of the Stipulation filed with this court, the claim for overpaid taxes for 1955 was reduced to $9,632.20. By the amended complaint, the claim for overpaid taxes for 1956 was increased to $10,240.93, which amount, when computed on the basis of paragraph 12 of the Stipulation, was corrected to $10,240.81.

Some of the facts have been stipulated and are found accordingly.

The plaintiffs filed a timely federal income tax return for the year 1955, which was subsequently amended. The second amended return, dated June 30, 1956, is in the record as Exhibit A. On Schedule 1 of the said second amended return, the plaintiffs claimed as a deduction the sum of $13,229.93, identified as “Buder vs. Buder Litigation — Legal Expenses.” By the terms of paragraph 11 of the Stipulation, this claimed deduction was reduced to $12,479.95.

Upon audit of the said return, the Commissioner disallowed the aforesaid deduction which, together with other adjustments not disputed herein, led to [427]*427the assessment of a tax deficiency for the year 1955 of $14,937.86. This amount, plus assessed interest of $1,934.45, or a total of $16,872.31, was paid by the plaintiffs on June 11, 1958.

The plaintiffs filed a timely federal income tax return for the year 1956, Exhibit B. On Schedule C of the said return, the plaintiffs claimed as a deduction the sum of $10,965.00, identified as “Rebuilding portions of Buder and Buder books,” and, on page 2 of the said return, further claimed as a deduction the sum of $308.17, identified as “Litigation — Buder vs. Buder.” By the amended complaint filed by leave of court, as slightly reduced by paragraph 12 of the Stipulation, the latter claimed deduction was increased to $1,793.98.

Upon audit of the said return, the Commissioner disallowed the above deductions which, together with other adjustments not disputed herein, led to the assessment of a tax deficiency for the year 1956 of $24,799.66. This amount, plus assessed interest of $1,723.60, or a total of $26,523.26, was paid by the plaintiffs on June 11, 1958.

On June 2, 1960, the plaintiffs filed claims for refund of the taxes and interest allegedly overpaid for the years 1955 and 1956 in the respective amounts of $10,194.68 and $9,081.88. The amount of taxes and interest claimed by the plaintiffs represent the portion of the tax assessment for the years 1955 and 1956 attributable to the Commissioner’s dis-allowance of the deductions. On January 8, 1962, the plaintiffs filed an amended claim for refund of the taxes and interest allegedly overpaid for the year 1956 in the amount of $10,240.93.

The plaintiffs timely filed the instant action and have otherwise complied with all statutory prerequisites to the institution of suit. The court has jurisdiction over this action under 28 U.S.C.A. § 1346(a) (1).1

This suit is an outgrowth of expenses entailed by Oscar Buder in an action entitled Oscar E. Buder v. Gustavus A. Buder, et al., Docket No. 93,848C (Circuit Court of St. Louis, Division No. 3). This state court action is still pending.

A short summary of events leading to the aforementioned litigation is necessary. Oscar E. Buder and G. A. Buder,' brothers, were partners under the firm name of Buder and Buder from January 1, 1908, until the institution of the state court action in January of 1946. Each partner had a one-half interest in the firm with equal rights in the conduct of the business and the assets acquired. There were no written articles of partnership and no agreement as to how long it should continue. The scope of the firm’s business is in conflict. However, it can be said that the original purpose for which the partnership was formed included the practice of law and investment of surplus proceeds in stock of the Burroughs Company. Each partner received a certain amount of draw and all money in excess thereof was to accumulate and be invested, apparently originally just in Burroughs Company stock. According to the testimony of Oscar Buder, he was the active member of the firm handling the preparation and trial of lawsuits, and G. A. Buder operated the firm office, employed all necessary help, supervised and directed the keeping of books and records, .made all investments, had possession and control of the assets of the firm, and acted as attorney and counselor for many corporations and other clients. Around 1938, Oscar Buder became suspicious of his partner, the reasons for which are unnecessary to elaborate, and from that time on collected evidence until he felt he had enough to file suit against his brother.

Oscar Buder filed suit on January 2, 1946, against his brother and former law partner, Gustavus A. Buder, Sr., and the [428]*428First National Bank of St. Louis. The original petition sought an accounting of the affairs of the partnership of Buder and Buder. It was alleged that each partner had a one-half interest and that plaintiff had dissolved the partnership as of January 1, 1946. On November 13, 1953, the Bank filed answer to the second amended petition in the case, in the nature of interpleader, joining Pontiac Realty Company as a third-party defendant to assert its interest in property held by the Bank as collateral to a note of Pontiac. The Bank was permitted by consent to deliver this collateral into the registry of the court and the case was dismissed as to it, leaving G. A. Buder and Pontiac. G. A. Buder died on April 14, 1954, and on May 19th, G. A. Buder, Jr., his executor, was substituted as defendant.

In January, 1955, on motion of G. A. Buder, Jr., executor, Acreage Realty Company was made a defendant by consent of plaintiff, “on the ground assets of the Acreage Realty Company are intermingled with the assets of the firm of Buder & Buder.”

On September 7, 1954, plaintiff filed a supplemental petition to his second amended petition to bring in Arcadia Realty Company, Arc Realty Company, Arcadia Timber Company, Lydiade Investment Trust, and Gustavus A. Buder, Jr., as additional defendants. This supplemental petition was dismissed without prejudice on September 5, 1956, and on October 15, 1956, plaintiff filed motion for leave to file his third amended petition making the aforementioned additional defendants as defendants, and this motion was granted on February 15, 1957. Motions to strike and to dismiss the third amended petition were overruled.

Pontiac, Arcadia Realty, Arc Realty, Lydiade and G. A. Buder, Jr., brought an original proceeding in the Supreme Court of Missouri to prohibit the court from proceeding in the aforementioned suit for partnership accounting. State ex rel. Pontiac Realty Co. v. Nangle, Mo., 315 S.W.2d 214. Prohibition was denied, the effect being that the defendants were required to stay in the case. Oscar Buder in the state court suit was and is seeking assets allegedly diverted to these additional defendants, actually and primarily in the form of stock of the Burroughs Corporation, formerly Burroughs Adding Machine Company, allegedly purchased and put in their names out of the earnings and profits of Buder & Buder.

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221 F. Supp. 425, 12 A.F.T.R.2d (RIA) 5318, 1963 U.S. Dist. LEXIS 9422, Counsel Stack Legal Research, https://law.counselstack.com/opinion/buder-v-united-states-moed-1963.