Burke v. Commissioner

42 T.C. 1021, 1964 U.S. Tax Ct. LEXIS 46
CourtUnited States Tax Court
DecidedSeptember 9, 1964
DocketDocket Nos. 93517, 93518
StatusPublished
Cited by13 cases

This text of 42 T.C. 1021 (Burke 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
Burke v. Commissioner, 42 T.C. 1021, 1964 U.S. Tax Ct. LEXIS 46 (tax 1964).

Opinion

Hott, Judge:

The Commissioner determined income tax deficiencies for the calendar year 1957 as follows:

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These cases were consolidated for trial and brief. The sole issue is whether the distribution to petitioners in 1957 of stock of L. B. Walker Radio Co. of Grand Junction was tax free under the provisions of section 355 of the Internal Revenue Code of 1954.

FINDINGS OF FACT

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

Petitioner, Patricia W. Burke, is a single individual residing in Pueblo, Colo., and the petitioners, L. B. Walker and Mildred O. Walker, are husband and wife also living in Pueblo, Colo. They filed their joint Federal income tax return and Burke filed her individual income tax return for the calendar year 1957 with the district director of internal revenue for the district of Colorado at Denver, Colo.

In 1921 petitioner L. B. Walker started a business of servicing and assembling radios and selling radio parts and supplies in Pueblo, Colo. He originally operated this business as a sole proprietorship, but later it was operated in partnership form with his wife, Mildred O. Walker. Around 1930 petitioner began selling radio parts and supplies wholesale throughout southern and western Colorado and northern New Mexico. Gradually the wholesale business grew, and by 1935 petitioner was engaged almost exclusively in the wholesale distribution of radio parts and supplies.

On September 29, 1947, the business was incorporated under the laws of Colorado as the L. B. Walker Radio Co. of Pueblo (hereinafter sometimes referred to as Pueblo) to carry on and engage in the business of wholesale distribution of radio, television, and other electronic parts, supplies, and equipment, formerly operated in the proprietorship and partnership forms. After incorporation, petitioner L. B. Walker continued to travel throughout southern and western Colorado and nothern New Mexico as a salesman soliciting orders. Petitioner Patricia W. Burke also traveled for the Pueblo company as an outside saleslady, and petitioner Mildred O. Walker worked in the Pueblo store as a saleslady.

The area around Grand Junction, Colo., which is in the western part of Colorado, was originally served by salesmen who operated out of the store and warehouse located in Pueblo. As orders for merchandise were obtained by the salesmen, they were sent to Pueblo for filling, and the merchandise was shipped directly to the customer. The business in and around the Grand Junction area continued to grow. In April of 1954, with the advent of television at Grand Junction, which, it was believed, would create an additional demand for television parts and supplies, the Pueblo company rented space and established a small branch store and warehouse in Grand Junction to better serve its customers and to further expand its business in that area.

Prior to the establishment of the Grand Junction store, L. B. Walker had had discussions concerning the operation to be located there with H. B. Pearce, a customer of the Pueblo company who operated an electrical appliance store in Rifle, Colo. As a result of these discussions, Pearce was hired as the manager at Grand Junction; he closed his business at Rifle and moved to Grand Junction when the store was opened.

After the establishment of the Grand Junction store and warehouse in 1954 but prior to the incorporation of the store as the L. B. Walker Radio Co. of Grand Junction in 1957, the area of western Colorado around Grand Junction was served by a salesman operating out of the Pueblo store. He would forward the orders to either Grand Junction or Pueblo depending. upon considerations such as freight charges for shipping the merchandise to the customers, the speed with which delivery could be made, and the availability of the merchandise at Pueblo or Grand Junction. Consequently when he operated in the area west of Gunniston, Delta, Montrose, or Glenwood Springs he would usually send his orders to Grand Junction. The Grand Junction store had no outside salesmen.

The books for both Pueblo and Grand Junction were kept in Pueblo before and after the incorporation of Grand Junction. Separate books were not maintained for the Grand Junction branch nor were separate complete financial statements kept, but after incorporation a separate ledger was prepared for Grand Junction. However, sufficient records were maintained before and after incorporation in order for the Pueblo company to determine whether the Grand Junction store was profitable or not. Separate retail sales tax returns were filed for all years prior to incorporation. Each store was treated as a stranger for purposes of intercompany transactions in order to make it easier for the employees to handle the transactions.

Approximately 80 percent of the merchandise sold in western Colorado was obtained directly from the Pueblo warehouse, the other 20 percent being shipped from the supplier directly to Grand Junction. In some instances the sales invoice would be sent to Grand J unction while in others it would be sent to Pueblo. If sent to Grand Jmiction, Pearce would approve the invoice and forward it to Pueblo for payment. If the invoice were sent to Pueblo it would be forwarded to Grand Junction for approval prior to payment. Pearce sometimes purchased merchandise directly for the Grand Junction branch especially in cases of emergency or when the item was not normally stocked by the Pueblo store.

The Grand Junction branch had a very limited inventory and we find that its operation was primarily that of an outlet closer to the area of distribution. All accounts receivable, credit matters, and collections were handled by the Pueblo store for the Grand Junction area. A bank account was maintained hi Grand Junction only as a transfer account, wherein cash was deposited and accumulated until the periodic transfer, usually four or five times a month, to the main company account in Pueblo.

Through the efforts of H. B. Pearce the business in and around the Grand Junction area grew considerably after the opening of the Grand Junction branch. Since the property used by the Grand Junction branch was leased, Pearce offered to contribute land of his own so that the company might build its own store in Grand Junction. This was also to satisfy Pearce’s desire to invest in and own part of the business operation in the Grand Junction area. A special meeting of the board of directors of the Pueblo company was thereafter held on December 20, 1956. At this meeting the directors decided that to enable Pearce to invest in the Grand Junction business only, they would form a new corporation; transfer certain of the assets of the Grand Junction store to the new corporation in exchange for all its stock; and thereafter distribute the stock pro rata to the Pueblo company stockholders. The resolutions of the Pueblo company board of directors passed at that special meeting were as follows:

Resolved, that the inventory, furniture, fixtures and equipment of L. B. Walter Radio Company of Pueblo, presently located in the Grand Junction store of said company he sold and transferred to a new corporation to he organized and known as L. B. Walker Radio Company of Grand Junction; that as consideration for said property, there be issued to the said L. B.

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Atlee v. Commissioner
67 T.C. 395 (U.S. Tax Court, 1976)
Nielsen v. Commissioner
61 T.C. No. 33 (U.S. Tax Court, 1973)
King v. Commissioner
55 T.C. 677 (U.S. Tax Court, 1971)
Boettger v. Commissioner
51 T.C. 324 (U.S. Tax Court, 1968)
Olson v. Commissioner
48 T.C. 855 (U.S. Tax Court, 1967)
Estate Of Thorval J. Lockwood, Deceased
350 F.2d 712 (First Circuit, 1965)
Burke v. Commissioner
42 T.C. 1021 (U.S. Tax Court, 1964)

Cite This Page — Counsel Stack

Bluebook (online)
42 T.C. 1021, 1964 U.S. Tax Ct. LEXIS 46, Counsel Stack Legal Research, https://law.counselstack.com/opinion/burke-v-commissioner-tax-1964.