C'De Baca v. Commissioner

38 T.C. 609, 1962 U.S. Tax Ct. LEXIS 102
CourtUnited States Tax Court
DecidedAugust 14, 1962
DocketDocket No. 83884
StatusPublished
Cited by16 cases

This text of 38 T.C. 609 (C'De Baca 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
C'De Baca v. Commissioner, 38 T.C. 609, 1962 U.S. Tax Ct. LEXIS 102 (tax 1962).

Opinions

OPINION.

Black, Judge;

The Commissioner has determined deficiencies in income tas and additions to tax for the years 1953 and 1954, as follows:

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The deficiency for 1953 is due to the following adjustment:

Adjustment To Net Income.
Net income shown on return-$15,195.59
Additional income:
(a) Installment sale_ 30,416.56
Net income as adjusted- 45, 612.15

Adjustment (a) is explained in the deficiency notice as follows: (a) It, is determined that you are not entitled under the internal revenue laws to report the gain of $90,911.00 realized on the sale of your farm in 1953 on the installment basis; your net long-term capital gain is therefore adjusted as follows:

Long-term gain on sale of farm_$90, 911. 00
Long-term loss on sale of lots_ (247.13)
Net long-term capital gain_ 90, 663. 87
Amount includible in taxable income (50%)_ 45, 331.94
Amount reported on return_ 14, 915. 38
Increase in income_ 30,416.56

The deficiency for 1954 is due to the following adjustments:

Adjustments To Taxable Income.
Taxable income shown on return_ $3,144. 23
Unallowable deductions:
(a) Medical expense_ $263.95
(b) Dependency deductions_ 1, 800. 00 2, 063.95
Taxable income as adjusted. 5,208.18

An oral stipulation was entered into by the parties and was read into the record as follows:

On November 16, 1953, the Pizza Cafe, a cafe owned and operated by petitioner and her three daughters, suffered a loss from fire which resulted in the discontinuance of this business.

Petitioner claimed a $400 fire loss on her 1953 return with respect to said fire, which amount was allowed by respondent.

The facts were all stipulated and are found as stipulated. The following is a substantial statement of the facts stipulated:

Petitioner Marion C’ de Baca, also known as Marion C’ de Baca Torres, during the years here involved, 1953 and 1954, lived in Amarillo, Texas, and her returns for those years were filed with the district director of internal revenue, Dallas, Texas, on March 26,1957.

On November 20,1952, petitioner was divorced from her then husband, Frank O’ de Baca. She was awarded the care and custody of their three minor daughters: Patsy, Mary Margaret, and Nancy Elizabeth.

In May 1953, petitioner became a patient of a physician in Amarillo, Texas, at which time she was suffering from a pelvic disorder.

On October 12, 1953, petitioner sold her farm located in Hale County, Texas, to Thomas W. Browning for $118,400. Petitioner incurred selling expenses of $8,320.15 and the property had an-adjusted basis of $19,168.85. The sale resulted in a net gain to petitioner of $90,911. The selling price of $118,400 was paid as follows:

Cash _ $20,000
Loan assumed_ 32,000
Ten notes at $6,640_ 66,400
(Payable annually)-118,400

The payments to petitioner in the first year under said contract of sale were less than 30 percent of the selling price. This result is correctly computed as follows:

Cash received_ $20, 000. 00
Loan assumed by purchaser_ $32, 000. 00
Less: Adjusted basis of land- 19,168. 85 12, 831.15
Total payments_ 32, 831.15
30% of selling price ($118,400)__ 35,520.00

Thirty percent of the selling price exceeds the payments received in the first year by $2,688.85. On her income tax return for the taxable year 1953, filed on March 26, 1957, petitioner reported this sale on an installment basis and has paid income taxes on said sale on the installment basis for the taxable years 1953 and 1954.

During December 1953, petitioner underwent an operation at Northwest Texas Hospital, and in February and June 1954, she was also seen by her physician. In July 1955, petitioner suffered an acute gallbladder attack and was found to have stones. Surgery was recommended relative to her gallbladder condition but this was postponed until September 1955. She was then hospitalized and her gallbladder was removed by a physician in Amarillo, Texas.

Petitioner did not file estimated tax returns for the years 1953 and 1954.

Petitioner contests the foregoing adjustments by appropriate assignments of error.

The issues raised by the pleadings and the stipulated facts may be stated as follows:

(1) Whether petitioner is entitled to the benefit of the election to report a 1953 realty sale of her farm on the installment basis where the facts show she failed to file her 1953 return until March 1957 ?

(2) Was petitioner’s failure to file timely 1953 and 1954 income tax returns due to negligence or to intentional disregard of rules and regulations ?

(3) Was petitioner’s failure to file timely 1953 and 1954 income tax returns due to reasonable cause and did the Commissioner err in imposing additional tax for delinquent filing of return ?

(4) Was petitioner’s failure to file declaration of estimated 1953 and 1954 tax due to reasonable cause and did the Commissioner err in imposing additions to tax under section 294 (d) (1) (A) ?

Issue 1.

We think that under the facts of the instant case this issue should be decided in favor of respondent. Section 44 of the 1939 Code reads as follows:

SEC. 44. INSTALLMENT BASIS.
(b) Sates or Realty and Casual Sales op Personality [sic].

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C'De Baca v. Commissioner
38 T.C. 609 (U.S. Tax Court, 1962)

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Bluebook (online)
38 T.C. 609, 1962 U.S. Tax Ct. LEXIS 102, Counsel Stack Legal Research, https://law.counselstack.com/opinion/cde-baca-v-commissioner-tax-1962.