Constantine Thomas v. Commissioner of Internal Revenue

232 F.2d 520, 49 A.F.T.R. (P-H) 921, 1956 U.S. App. LEXIS 5313
CourtCourt of Appeals for the First Circuit
DecidedApril 12, 1956
Docket5052
StatusPublished
Cited by38 cases

This text of 232 F.2d 520 (Constantine Thomas v. Commissioner of Internal Revenue) is published on Counsel Stack Legal Research, covering Court of Appeals for the First Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Constantine Thomas v. Commissioner of Internal Revenue, 232 F.2d 520, 49 A.F.T.R. (P-H) 921, 1956 U.S. App. LEXIS 5313 (1st Cir. 1956).

Opinion

HARTIGAN, Circuit Judge.

This is a petition brought by the taxpayers for a review of decisions of the Tax Court of the United States filed May 26, 1955, which determined deficiencies in the joint returns of petitioners Constantine Thomas and his wife, Marie, of Chelmsford, Massachusetts, for the years 1945 through 1948, and in the individual returns of Constantine Thomas for the years 1943 and 1944.

The facts may be summarized substantially as they appear in the findings of the Tax Court.

During the taxable years 1943 to 1948, inclusive, Constantine Thomas, sometimes known as Charles Thomas, owned 97 per cent, and Marie Thomas owned 2 per cent of the stock of Thomas, The Master Cleaner, Inc., a Massachusetts corporation doing business in Lowell. Thomas was president and treasurer of the corporation and in complete control of the business which dealt in dry cleaning and the sale of furs. The corporation filed federal income tax returns with the Collector of Internal Revenue at Boston upon the accrual basis and covering calendar years.

Thomas was born in Greece about 1894 and came to the United States at the age of 10 years. He has since resided In the United States. From about 1918 until about 1932 he engaged in various ventures including the taxicab business, dealing in used cars, operating a restaurant and investing in. a hotel. About 1929 he started a dry cleaning business-under the name of Highland Cleaners and Dyeing which he sold after operat *522 ing for a year or two. He also invested in stocks on margin or on borrowed funds and had an account with a brokerage firm in Boston. He borrowed from the Union National Bank of Lowell, or its predecessor. In 1932 the bank took over collateral on his loans and charged off $8,926.85 as a loss.

About 1932 Thomas started his present dry cleaning business which was incorporated in February 1935.

Constantine and Marie were married in 1938. Marie's father, Christo Vangos, was manager of a confectionery establishment in Easthampton. At the time of the marriage of the petitioners, Van-gos gave them money to assist in buying a home. Marie helped Constantine in his business for about a year after their marriage.

In 1940 the corporation sought a loan for $4,500 from the Reconstruction Finance Corporation. The Union National Bank of Lowell agreed to participate up to 20 per cent in the loan, provided the bank receive a compromise offer of $400 in full payment of the loan to Thomas charged off in 1932 in the amount of $8,926.85. Thomas paid the $400 in installments at the rate of $7 per month beginning in June 1940 and made a final payment of $148 in December 1943. The corporation’s loan was reduced by installment payments to $3,-586.83. It was paid on July 13,1941, and a new loan of $5,400 was made. This was reduced by November 1942 to $2,070.30 which was paid December 7, 1942. Thomas, individually, borrowed $800 from the same bank in May 1940 and paid the loan in January 1942.

In April 1941 the corporation applied to the R. F. C. for a loan of $1,800 for the purchase and installation of two pieces of equipment. The application contained a balance sheet of the corporation as of December 31, 1940, and was accompanied by a statement of Thomas’ personal assets. The corporation’s financial statement showed cash on hand $1,-272.81, total assets $22,353.02, current liabilities of $3,837.37 and a chattel mortgage to the R. F. C. for $3,960. Net sales for the five preceding years were stated as ranging between $25,000 and $27,000 annually. Thomas’ salary was stated to be $2,500 a year. The ownership interest was shown as common stock $5,000; surplus, donated, $8,438.36; and undivided profits, $1,117.29. The statement purporting to show as of April 26, 1941, all assets and liabilities of Thomas, other than his interest in the corporation, shows cash on hand $200; securities $1,-660; real estate valued at $11,000 (having an assessed value of $7,000); furniture $3,000; cash surrender value of life insurance, $647; and shows liabilities of $5,150.

Thomas filed an income tax return for 1940 showing no tax due. He filed no return for 1941. His return for 1942 showed a tax of $33, of which two quarterly installments were paid in March and June 1943. His return for 1943 reported a total income of $2,658 of which $2,550 was salary and $108 was dividends. Tax withheld was greater than the tax due and a refund was made. His return for 1944 reported income of $2,-652.50, consisting of salary $2,550 and interest $102.50. The petitioners’ joint return for 1945 reported salary of $5,000 and dividends or interest of $500.62. Their joint return for 1946 reported salary $5,200, dividends $579.40 and interest $213.44. Their joint return for 1947 reported salary $5,100, dividends $957.50 and interest $613.47. Their joint return for 1948 reported salary $4,940, dividends $1,186.61, interest of $669.80, and long-term capital gain of $80.

In December 1943 Vangos made two gifts of $3,000 each for the benefit of the petitioners’ two children. Of these amounts $2,900 was deposited in a savings account for the benefit of each child.

At the beginning of 1943, Constantine Thomas had the following assets exclusive of cash on hand:

*523

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Bluebook (online)
232 F.2d 520, 49 A.F.T.R. (P-H) 921, 1956 U.S. App. LEXIS 5313, Counsel Stack Legal Research, https://law.counselstack.com/opinion/constantine-thomas-v-commissioner-of-internal-revenue-ca1-1956.