Daniel v. Commissioner

1987 T.C. Memo. 304, 53 T.C.M. 1166, 1987 Tax Ct. Memo LEXIS 304
United States Tax Court·Decided June 22, 1987·No. Docket No. 32157-84.·Unpublished

Opinion

CREED A. DANIEL AND MURIEL H. DANIEL, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Daniel v. Commissioner
Docket No. 32157-84.
United States Tax Court
T.C. Memo 1987-304; 1987 Tax Ct. Memo LEXIS 304; 53 T.C.M. (CCH) 1166; T.C.M. (RIA) 87304;
June 22, 1987.
Glen R. Claiborne, for the petitioners.
Gary F. Walker, for the respondent.

KORNER

MEMORANDUM FINDINGS OF FACT AND OPINION

KORNER, Judge: Respondent determined the following deficiencies in and additions to petitioners' Federal income tax:

Tax YearAddition to
EndedDeficiencyTax Sec. 6653(b) 1
December 31, 1979$109,675.87$54,837.94
December 31, 19802,307.73

After concessions, 2 the issues remaining for decision are: (1) Whether petitioners realized a $116,033.20 long-term capital gain in 1979 from the sale of an office building located in*306 Oak Ridge, Tennessee; (2) whether petitioner realized a long-term capital gain in 1979 in the amount of $85,875 from the sale of stock of the City and County Bank of Knox County, Tennessee; 3 (3) whether petitioner incurred deductible interest expense of $57,383.33 during 1979; (4) whether petitioners are liable for an addition to tax pursuant to section 6653(b) for 1979; and (5) whether petitioner Muriel H. Daniel is entitled to relief from liability for 1979 in accordance with the provisions of section 6013(e).

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts and exhibits attached thereto are incorporated herein by this reference.

Background

Petitioners Creed A. Daniel and Muriel H. Daniel, 4 husband and wife, resided in Rutledge, Tennessee, at the time they filed their petition herein. Petitioners filed joint Federal income tax returns for the taxable years 1979 and 1980 using the cash method of accounting.

*307 At the time of trial, petitioners had been married for over 30 years. During the year in issue, petitioner was an attorney who practiced law in Rutledge, Tennessee. Mrs. Daniel was employed as a legal secretary during the first eight years of the marriage, and she was a housewife with her husband as her sole source of support in 1979.

During 1979, petitioner served on the board of directors for each of the City and County Banks located in Jefferson County, Knox County, Hawkins County, and Union County, Tennessee. He also served on the board of directors of Southern Industrial Banking Corporation and United American Bank of Washington County, Tennessee. During that same year he owned stock in Radioak, Inc. ("Radioak"), a corporation engaged in radio broadcasting.

The Oak Ridge Office Building

On March 4, 1975, Jerome F. Salomone, president of Kingston Pike Realty, Inc. ("Kingston Pike"), sold an office building located in Oak Ridge, Tennessee (the "Oak Ridge Building" or the "building") to petitioners. The instrument of conveyance used was a warranty deed whereby Kingston Pike:

granted, bargained, sold and conveyed, and do hereby grant, bargain, sell and convey unto*308 the said Second Parties [petitioners] the following described premises to wit: [a legal description of the property] * * *.

Petitioner stated in the deed under oath:

I, or we, hereby swear or affirm that the actual consideration for this transfer or value of the property transferred, whichever is greater, [is] $185,000.00, which amount is equal to or greater than the amount which the property transferred would command at a fair and voluntary sale.

/s/ Creed A. Daniel, Affiant

The building was financed using a promissory note signed by petitioner on March 4, 1975, in which he promised to pay to the City and County Bank of Anderson County $185,000 in 11 monthly installments beginning April 1, 1975, and continuing until March 1, 1976, at an annual interest rate of 9 percent. To collateralize the note, on March 31, 1975, petitioners signed a deed of trust on the property for $185,000 in favor of the City and County Bank of Anderson County. 5

Petitioners reported the following items with respect to the Oak Ridge Building on their Federal income*309 tax returns for the following years: 6

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Daniel v. Commissioner, 1987 T.C. Memo. 304, 53 T.C.M. 1166, 1987 Tax Ct. Memo LEXIS 304 (tax 1987).

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