Bush v. Commissioner

1968 T.C. Memo. 39, 27 T.C.M. 177, 1968 Tax Ct. Memo LEXIS 260
United States Tax Court·Decided February 29, 1968·No. Docket Nos. 4973-65, 3187-66.·Unpublished

Opinion

Jesse W. Bush v. Commissioner.
Bush v. Commissioner
Docket Nos. 4973-65, 3187-66.
United States Tax Court
T.C. Memo 1968-39; 1968 Tax Ct. Memo LEXIS 260; 27 T.C.M. (CCH) 177; T.C.M. (RIA) 68039;
February 29, 1968, Filed
,jesse W. Bush, pro se, 614 Persons Bldg., Macon, Ga. David S. Meisel, for the respondent.

WITHEY

Memorandum Findings of Fact and Opinion

WITHEY, Judge: Respondent determined a deficiency in petitioner's income tax of $6,982.53 for the taxable year 1960. Subsequently, respondent determined a deficiency in petitioner's income tax of $3,283.79 for the taxable year 1963. On joint motion of the parties, the two matters were consolidated for the purpose of their submission under Rule 30 of the Tax Court Rules of Practice.

The issues for decision are:

(1) As to 1960, whether the losses sustained by petitioner in that year on a note in the amount of $25,000, from the Manchester Manufacturing Company, Inc., and on payments made as a guarantor of certain of the company's trade accounts are deductible as business bad debts pursuant to section 166 of the Internal Revenue Code of 1954. 1

*262 (2) As to 1963, whether the losses sustained by petitioner in that year on the worthlessness of capital stock of Superior Engineering and Manufacturing Company, Inc., and on payments made as a guarantor of a loan to that corporation are deductible as business bad debts pursuant to section 166 of the Code.

General Findings of Fact

All of the facts having been stipulated, they are so found.

Jesse W. Bush, hereinafter referred to as the petitioner, and his wife, Harriet E. Bush, filed a joint income tax return for 178 the year 1960 with the district director of internal revenue, Atlanta, Georgia. The petitioner filed an individual income tax return for the year 1963 with the district director of internal revenue, Atlanta, Georgia. Petitioner was a legal resident of the State of Georgia on the dates of the filing of the petitions herein.

The petitioner is an attorney and has actively practiced his profession in Macon, Georgia, for about 20 years.

On joint Federal income tax returns for the following years the petitioner and his wife, Harriet E. Bush, reported interest earned on loans in the following amounts:

YearAmount
1956$2,831.09
19576,273.72
19589,388.34
19599,391.36
*263 These loans, all made in the name of Harriet E. Bush, were secured by first mortgages on real estate and all the funds used for the making of these loans and all interest income from them were kept in a separate bank account in the name of Harriet E. Bush. All the income from these loans was reported by Harriet on her separate state income tax returns. When petitioner and Harriet were divorced in 1963, all the notes outstanding from the loan transactions were found to be her property and were ordered, in that proceeding, delivered to her.

Findings of Fact

Issue 1

The Manchester Manufacturing Company, Inc., hereinafter referred to as Manchester, was incorporated in December 1956 for the purpose of manufacturing infants' playpens. The petitioner was the organizing attorney and represented the corporation from the date of its incorporation until its demise.

Prior to December 26, 1958, there were outstanding 328.63 shares of capital stock of Manchester owned by the following shareholders in the following amounts:

ShareholderShares
L. L. Gellerstedt10.00
Wright Gellerstedt10.00
Chrystall Starr75.00
William E. Tribble5.00
John M. Law50.00
J. C. Peeler10.00
Solomon F. Dowis, Jr. 168.63
Total328.63

*264 Manchester was in need of additional capital in order to continue operations and had been unable to secure financing for that purpose. On December 26, 1958, petitioner acquired 60.25 percent of the outstanding stock of Manchester from the following shareholders for a nominal or no consideration:

<
ShareholderShares
L. L. Gellerstedt10.00

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Bush v. Commissioner, 1968 T.C. Memo. 39, 27 T.C.M. 177, 1968 Tax Ct. Memo LEXIS 260 (tax 1968).

1968 T.C. Memo. 39 (Bush v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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