Bush v. Commissioner

10 T.C. 1110, 1948 U.S. Tax Ct. LEXIS 160
CourtUnited States Tax Court
DecidedJune 14, 1948
DocketDocket No. 8680
StatusPublished
Cited by10 cases

This text of 10 T.C. 1110 (Bush 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
Bush v. Commissioner, 10 T.C. 1110, 1948 U.S. Tax Ct. LEXIS 160 (tax 1948).

Opinion

OPINION.

Aeundell, Judge:

This case involves income tax deficiencies for the years 1938,1939, and 1940 in the respective amounts of $13,913.53, $17,567.83, and $24,030.55, a total of $55,511.91. The deficiencies result in the main from respondent’s action in taxing to petitioner, as income, amounts, roughly speaking, of about $60,000 paid to her in each of the years by a trust established by her then husband on June 6, 1930. Petitioner here assails that action and pleads res judicata, based on an earlier decision of the Board of Tax Appeals, Maud H. Bush, 33 B. T. A. 628.

The facts have been stipulated and are adopted accordingly. Those necessary to a decision of the case may be briefly summarized:

Petitioner filed her income tax returns for the periods in question with the collector of internal revenue for the second district of New York.

In 1930 petitioner’s then husband, Irving T. Bush, instituted an action for divorce from her in the District Court for the County of Washoe, Nevada. Petitioner interposed a counterclaim, asking that she be granted a divorce. After the action had been instituted, but prior to the entry of the decree, an agreement dafed June 6,1930, was entered into by Irving T. Bush, the Bank of Manhattan Trust Co., as trustee, and the petitioner.

The agreement recited that Irving T. Bush had on January 15, 1923, set up a trust with R. Gould Simonds as trustee, under which petitioner was one of the beneficiaries; that Irving T. Bush had effectually revoked the trust of January 15, 1923;'that he had commenced the divorce action; that petitioner intended to contest and interpose a cross-complaint praying for a decree of divorce from him; and that it was their mutual intention that, if a divorce should be awarded to her, the agreement should constitute a complete adjustment and settlement of all rights of the petitioner in any of the property or estate of Irving T. Bush, and should be in lieu of any and all claims for dower, maintenance, support, or otherwise, which might arise in her favor against him. In that agreement the petitioner then acknowledged that the trust of January 15, 1923, had theretofore been effectually revoked and that she had disclaimed all right, title, or interest therein. The agreement further provided that Irving T. Bush irrevocably transferred and assigned certain securities to the trustee; that the trustee should collect the net income and pay over $60,000 thereof annually to the petitioner, less a deduction for one-half the trustee’s compensation and expenses; and that any income in excess of $60,000 a year should be paid to Rufus T. Bush, son of the petitioner and Irving T. Bush. If the income of the trust in any year fell below $60,000, Irving was obligated to pay over to the trustee an amount sufficient to make up the deficiency. At petitioner’s death, all the income was to be paid over to Rufus; and the trust contained further provisions, not here material, for the distribution of the corpus at Rufus’ death.

The Nevada divorce court found that the trust agreement of June 9, 1930, was in all respects fair, just, reasonable, and equitable and was made for the sole and only purpose of settling and adjusting the respective property rights of the parties to the suit and in lieu of providing for the future support and maintenance of the wife. In its decree, the court, in lieu of any alimony and to provide for the future support and maintenance of the wife (petitioner here), adopted, approved, confirmed, and ratified the trust agreement of June 6,1930, to the same extent and in all particulars as though it had been set forth in the decree in haeo verba.

On March 5,1934, the Commissioner sent the petitioner a deficiency notice in which he determined that there should be included in her taxable income for the year 1931 the $60,000 which she received from the trust of June 6, 1930. She thereupon filed a petition with the United States Board of Tax Appeals; and in an opinion promulgated December 3, 1935, Docket No. 75889, reported at 33 B. T. A. 628, the Board held that, since the payments from the trust were received by the petitioner under an express agreement that they should settle her claims for dower, maintenance, and support, which was recognized by the divorce court’s decree as in lieu of alimony, the payments were not taxable as income to the petitioner. On January 10, 1936, the Board entered its judgment pursuant to the foregoing opinion, ordering, adjudging, and deciding that there was no deficiency in income tax for 1931. That decision was not appealed by the Commissioner and became final in due course.

Pursuant to a power reserved in the trust agreement, Irving Bush appointed Colonial Trust Co. of New York as successor trustee on May 23, 1939. The trust agreement of June 6, 1930, has otherwise remained unchanged since 1930; and it was from the securities originally placed in that trust and reinvestments thereof by the trustee that the income was produced for the years 1938,1939, and 1940 with respect to which the deficiencies now involved were determined.

On the foregoing facts, petitioner contends that the question of her liability for tax on the payments she received from the trust is res judicata. Bespondent resists the plea in view of the following circumstances :

On March 28, 1939, the Commissioner sent the petitioner’s former husband, Irving T. Bush, a deficiency notice in which he determined that the payments made out of trust income to petitioner during the years 1933, 1934, and 1935, should be included in Irving’s income. Irving thereupon duly filed a petition with the Board of Tax Appeals, and the Board on November 6, 1941, rendered its decision sustaining the Commissioner’s action. Irving T. Bush, 45 B. T. A. 609. Bush then appealed to the United States Circuit Court of Appeals for the Second Circuit, and that court, on March 15, 1943, reversed and remanded the case to this Court for further proceedings. Bush v. Commissioner, 133 Fed. (2d) 1005. This Court then held further proceedings in the case and entered its memorandum findings of fact and opinion on May 6,1944, Doóket No. 99364.

Irving Bush had set up the January 15,1923, trust with B. Gould Simonds as trustee for the benefit of the petitioner and of Irving’s two daughters by a former marriage, with 60 per cent of the net income during his life payable to the petitioner and 20 per cent to each of the two daughters; and upon his death the corpus was to be distributed 20 per cent to each of the daughters and 60 per cent to Bufus T. Bush, son of Irving and the petitioner here. That trust was at first revocable; but on May 3, 1923, Irving Bush renounced his right to revoke; The trust was subsequently revoked by mutual consent of the interested parties, as preliminary to the execution of the trust agreement of June 6, 1930. It was then the desire of the petitioner that a trustee be appointed who was less closely associated with her husband than was Simonds, and that a trust be established for her sole benefit. The corpus of the June 6, 1930, trust consisted of securities of a value of approximately $1,000,000, which had formerly constituted a little more than 60 per cent of the corpus of the January 15, 1923, trust.

The Board of Tax Appeals held in Irving Bush’s case that he was taxable on the trust income paid to his wife under Helvering v. Leonard,

Related

Calcutt v. Commissioner
91 T.C. No. 2 (U.S. Tax Court, 1988)
Journal-Tribune Publishing Co. v. Commissioner
38 T.C. 733 (U.S. Tax Court, 1962)
Glenshaw Glass Co. v. Commissioner
13 T.C. 296 (U.S. Tax Court, 1949)
Bush v. Commissioner
175 F.2d 391 (Second Circuit, 1949)
Bush v. Commissioner
10 T.C. 1110 (U.S. Tax Court, 1948)

Cite This Page — Counsel Stack

Bluebook (online)
10 T.C. 1110, 1948 U.S. Tax Ct. LEXIS 160, Counsel Stack Legal Research, https://law.counselstack.com/opinion/bush-v-commissioner-tax-1948.