Casa Loma, Inc. v. Commissioner

1980 T.C. Memo. 78, 39 T.C.M. 1251, 1980 Tax Ct. Memo LEXIS 505
CourtUnited States Tax Court
DecidedMarch 19, 1980
DocketDocket No. 11317-76.
StatusUnpublished

This text of 1980 T.C. Memo. 78 (Casa Loma, Inc. 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
Casa Loma, Inc. v. Commissioner, 1980 T.C. Memo. 78, 39 T.C.M. 1251, 1980 Tax Ct. Memo LEXIS 505 (tax 1980).

Opinion

CASA LOMA, INC., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Casa Loma, Inc. v. Commissioner
Docket No. 11317-76.
United States Tax Court
T.C. Memo 1980-78; 1980 Tax Ct. Memo LEXIS 505; 39 T.C.M. (CCH) 1251; T.C.M. (RIA) 80078;
March 19, 1980, Filed
Frank Mast and W. Rodgers Moore, for the petitioner.
Michael A. Yost, Jr., for the respondent.

FEATHERSTON

MEMORANDUM FINDINGS OF FACT AND OPINION

FEATHERSTON, Judge: Respondent determined deficiencies in petitioner's income taxes as follows:

YearAddition to Tax
EndedDeficiencySec. 6653(a)Total
6/30/70$ 4,017$ 201$ 4,218
6/30/711,669831,752
6/30/7242,3381,72144,059
6/30/7362631657
6/30/7435,255035,255

Concessions having been made by petitioner, the issues remaining for decision are:

1. Whether petitioner failed to qualify for nonrecognition treatment under section 337 1/ and thus must recognize long term capital gain realized upon*506 the condemnation of its business premises in the amounts of $114,705 and $46,640 for the taxable years ended June 30, 1972, and June 30, 1974, respectively, as well as ordinary income in the amount of $20,618 which was received as detention damages from the Commonwealth of Pennsylvania in the tax year ended June 30, 1974.

2. Whether petitioner is liable for additions to tax under section 6653(a) resulting from the erroneous reporting and carryback of a loss on the sale of fixtures in the tax years ended June 30, 1970 through June 30, 1973.

FINDINGS OF FACT

At the time of filing its petition, petitioner Casa Loma, Inc.'s principal place of business was located in McKeesport, Pennsylvania. Petitioner filed corporate income tax returns for the fiscal years ended June 30, 1970 through june 30, 1972, with the Philadelphia Service Center, Philadelphia, Pennsylvania. Petitioner retained Ray Cegelski (Cegelski), a certified public accountant, to prepare its tax returns from 1968 through the fiscal year ended June 30, 1972. Its returns*507 for the fiscal years ended June 30, 1973, and June 30, 1974, were filed with the District Director, Pittsburgh, Pennsylvania. H. G. Ahlquist, a certified public accountant, prepared these returns. Petitioner reported its income and deductions on the accrual basis.

Since its incorporation in July 1958, petitioner's sole business consisted of the operation of a bowling alley and the sale therein of food and beverages, including liquor. On August 22, 1971, petitioner adopted a plan for complete liquidation. At that time, petitioner owned, among other assets, real property located at 2215 Lincoln Way, McKeesport, Pennsylvania (the property). The property was improved by a building containing all the fixtures and equipment necessary to operate a bowling alley and lounge.

On August 25, 1971, the Commonwealth of Pennsylvania filed a "Declaration of Taking" with the Court of Common Pleas in Allegheny County to effect the condemnation of the property. On March 20, 1972, the Department of Transportation of the Commonwealth of Pennsylvania (the department) agreed to pay petitioner $473,076 for the condemned property. The department allocated $280,000 of this amount to the real estate*508 with the remaining $193,076 allocated to the fixtures, machinery, and equipment. Petitioner utilized this allocation to report on its return for the year ended June 30, 1972, ordinary gain of $61,256 from the condemnation of the fixtures and equipment. Although petitioner reported long term capital gain of $114,705 from the condemnation of the real property on a supplemental schedule of gains and losses, it did not include this gain in taxable income.

Dissatisfied with the amount of the condemnation award, on April 18, 1972, petitioner retained the law firm of Palkovitz and Palkovitz to represent it in the eminent domain proceedings. Petitioner agreed that the law firm would retain 25 percent of any amount awarded in excess of $473,076. Petitioner further agreed to reimburse the law firm for expenses incurred in the proceedings.

Acting upon Cegelski's advice, petitioner's board of directors passed a motion on June 20, 1972, to request that attorney Robert Palkovitz (Palkovitz) set up a trust, with Cegelski as trustee, so that petitioner could assign its condemnation claim to the trust in order to comply with the distribution requirements of section 337. Subsequently, however, *509 Palkovitz advised that transferring the claim to the trust would adversely affect the outcome of the condemnation case. As a result, no trust agreement was drawn up or executed.

On July 20, 1972, petitioner received $473,076, the amount recommended by the department, for the condemned property. Upon receipt of this payment, petitioner discharged the principal balance of a mortgage encumbering the property in the amount of $139,124.46.

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Bluebook (online)
1980 T.C. Memo. 78, 39 T.C.M. 1251, 1980 Tax Ct. Memo LEXIS 505, Counsel Stack Legal Research, https://law.counselstack.com/opinion/casa-loma-inc-v-commissioner-tax-1980.