David H. Orth and Barbara A. Orth v. Commissioner of Internal Revenue

813 F.2d 837, 59 A.F.T.R.2d (RIA) 758, 1987 U.S. App. LEXIS 3296
CourtCourt of Appeals for the Seventh Circuit
DecidedMarch 9, 1987
Docket86-1546
StatusPublished
Cited by65 cases

This text of 813 F.2d 837 (David H. Orth and Barbara A. Orth v. Commissioner of Internal Revenue) is published on Counsel Stack Legal Research, covering Court of Appeals for the Seventh Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
David H. Orth and Barbara A. Orth v. Commissioner of Internal Revenue, 813 F.2d 837, 59 A.F.T.R.2d (RIA) 758, 1987 U.S. App. LEXIS 3296 (7th Cir. 1987).

Opinion

HARLINGTON WOOD, Jr., Circuit Judge.

This is an appeal from the tax court’s decision affirming the Commissioner’s deficiency determination against the taxpayers, David H. Orth and Barbara A. Orth. The taxpayers donated 73 lithographs to various charitable organizations, and claimed a charitable contribution deduction in the amount of $300 per lithograph, the price for which similar lithographs allegedly were sold in galleries or from art dealers. The Commissioner valued the lithographs using the price which the Orths and others paid when buying the lithographs in bulk from wholesalers. The taxpayers argued that the Commissioner undervalued their deduction. The tax court found that the Commissioner’s valuation was correct, and the taxpayers appeal.

I. FACTUAL BACKGROUND

The tax court made the following findings of fact. (For additional findings of fact, see Lio v. Commissioner, 85 T.C. 56 (1985).) This court must accept the tax court’s findings unless they are clearly erroneous. Illinois Power Co. v. Commissioner, 792 F.2d 683, 685 (7th Cir.1986).

Taxpayer David H. Orth, a physician, is married to taxpayer Barbara A. Orth. In September of 1978, the taxpayers paid $10,- *839 000 to purchase 100 unframed lithographs created by artist Leonardo Nierman. 1

A lithograph is a piece of paper on which an image is artistically reproduced. The image is produced by pressing the paper onto a hard object known as a plate, which has part of its surface covered with ink. A plate is used to create multiple impressions of the same image, and the plate is then destroyed or cancelled. Editions generally are limited in number.

Lithographs usually are sold to the public by art galleries and art dealers. While more lithographs are sold framéd it is not uncommon for the public to purchase unframed lithographs from galleries and dealers.

A “suite” is a term used in the retail art trade for a set of works, usually by the same artist and often on the same theme or subject matter, compiled and offered together as a set. A single suite of “Intuition de L’Univers” consists of ten lithographs, and a double suite of “Intuition de L’Univers” consists of twenty lithographs. Leonardo Nierman created 271 “Intuition de L’Univers” suites: 101 double suites and 170 single suites, for a total of 3,720 lithographs.

The taxpayers purchased the lithographs from Greenwich Art Consultants, Inc. (Greenwich), a joint venture between Art Consultants, Ltd. (Art Consultants) and Preferred Partnerships, Inc., formed for the limited purpose of selling lithographs from Nierman’s “Sound of Color” and “Intuition de L’Univers” editions.

Art Consultants was a subchapter S corporation whose business consisted of selling graphics. Almost all of these graphics were sold unframed to individuals. Art Consultants did not have a public area for display of art. It used an office which was rented by the law firm of Kamensky and Rubinstein, the firm which represented the taxpayers in this appeal, to store art and maintain its books and records. Greenwich used the facilities and personnel of Art Consultants.

As part of a package of art and services, Art Consultants provided the following tax-related services to Dr. Orth: letters from the organizations to which he contributed lithographs acknowledging their receipt; appraisals of the 73 lithographs, one by R. Bruce Duncan, president of the Chicago Appraisers Association, who appraised them at $24,000, the other by Ross Edman, a Chicago appraiser, who appraised the lithographs at $25,464 2 ; and photographs of the lithographs.

Lublin Graphics, Inc. (Lublin), was the sole United States distributor of Nierman lithographs. During 1978 and 1979, Lublin sold a total of 2,319 Nierman lithographs; Greenwich purchased approximately 63% (1,473) of these lithographs for $50 each. All of the Nierman lithographs that Greenwich purchased were from either the “Sound of Color” or the “Intuition de L’Univers.” Greenwich sold almost all of these Nierman lithographs in 1978 and January, 1979, for $100 each in large quantities to individuals.

In 1979, galleries sold an unspecified number of single lithographs from the “Sound of Color” and the “Intuition de L’Univers” editions for approximately $300, unframed. Lithographs from the *840 “Sound of Color” edition are still available for sale in some galleries.

Taxpayers insured the lithographs on March 30, 1979, for $300 per lithograph.

In December of 1979, the taxpayers, having owned the Nierman lithographs longer than the period required by Treasury regulations in order to deduct the full market value of a charitable contribution, 3 donated 73 lithographs to several charitable organizations, including Mundelein High School (7 lithographs), Waukegan Public Schools (5 lithographs), Thornton Fractional High School (20 lithographs), Chicago Public Library (5 lithographs), Chicago Board of Education (6 lithographs), The Woodlawn Organization (10 lithographs), and Deerfield Public Schools (20 lithographs). The taxpayers framed and displayed nine of the Nierman lithographs in Dr. Orth’s office, and placed the remaining eighteen lithographs in storage.

On their federal income tax return for calendar year 1979, Dr. and Mrs. Orth claimed a charitable contribution deduction of $27,682 (approximately $379 each) for the donation of the 73 Nierman lithographs to qualified charitable organizations. 4 It is unclear how the taxpayers derived the $27,-682 figure; they argued before the tax court and on appeal, however, that the lithographs had a total fair market value of $21,900 ($300 each) as of the date of donation.

In the deficiency notice, the Commissioner disallowed the claimed deduction to the extent it exceeded $7,300, the cost of the lithographs to the taxpayers. The tax court found that the taxpayers had failed to meet their burden of proving that the value of the 73 Nierman lithographs which they donated was greater than their cost and affirmed the Commissioner. Taxpayers appeal that decision.

II. DISCUSSION

The taxpayers raise two challenges on appeal. They assert (1) that the tax court’s finding on the lithographs’ value and the market it used in determining that value was contrary to the parties' stipulations, and (2) that the tax court improperly used the date of taxpayers’ acquisition of the lithographs rather than the date of donation to determine the lithographs’ value.

A. Stipulations

The parties stipulated that several statements were true. Among these stipulations were the following:

19. In 1979 galleries sold single lithographs from the “Sound of Color” and the “Intuition de L’Univers” editions for approximately $300, unframed.

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Bluebook (online)
813 F.2d 837, 59 A.F.T.R.2d (RIA) 758, 1987 U.S. App. LEXIS 3296, Counsel Stack Legal Research, https://law.counselstack.com/opinion/david-h-orth-and-barbara-a-orth-v-commissioner-of-internal-revenue-ca7-1987.