Dean v. Commissioner

1960 T.C. Memo. 54, 19 T.C.M. 281, 1960 Tax Ct. Memo LEXIS 235
United States Tax Court·Decided March 28, 1960·No. Docket Nos. 68999, 69000.·Unpublished

Opinion

Paulina DuPont Dean v. Commissioner. J. Simpson Dean v. Commissioner.
Dean v. Commissioner
Docket Nos. 68999, 69000.
United States Tax Court
T.C. Memo 1960-54; 1960 Tax Ct. Memo LEXIS 235; 19 T.C.M. (CCH) 281; T.C.M. (RIA) 60054;
March 28, 1960

*235 Held, on the evidence presented, the fair market value per share of two blocks of 2,000 shares each, or a total of 4,000 shares of the capital stock of Nemours Corporation, on December 17, 1954, was $640.

Lawrence Graves, Esq., 20 Exchange Place, New York, N. Y., and William J. Harris, Esq., for the petitioners. John J. Hopkins, Esq., for the respondent.

BRUCE

Memorandum Findings of Fact and Opinion

BRUCE, Judge: The*236 respondent has determined deficiencies in gift taxes for the year 1954 in the case of petitioners as follows:

Paulina duPont Dean$309,459.52
J. Simpson Dean319,793.37

The cases were consolidated for trial and will be considered together. The single issue presented is the fair market value per share of two blocks of 2,000 shares each, or a total of 4,000 shares, of Nemours Corporation capital stock on December 17, 1954.

Findings of Fact

Some of the facts were stipulated and such stipulation, together with the exhibits attached thereto, is incorporated herein by reference.

The petitioners are husband and wife with principal office at 1090 DuPont Building, Wilmington, Delaware. On December 17, 1954, the petitioners were the sole shareholders in Nemours Corporation, hereinafter referred to as Nemours, which corporation was organized in 1924. Of the 36,172 shares of no-par common stock issued and outstanding, petitioner Paulina duPont Dean owned 28,923 shares and petitioner J. Simpson Dean owned 7,249 shares. On December 17, 1954, each of the petitioners made a gift of 2,000 shares of Nemours stock to separate trusts theretofore created by each for the benefit*237 of their children. The petitioners filed United States gift tax returns for the calendar year 1954 with the director of internal revenue, Wilmington, Delaware, and reported the gifts at a value of $425 per share. Paulina duPont Dean paid a gift tax of $238,260.10 and J. Simpson Dean paid a gift tax of $251,365.92. In his determination of the deficiencies herein respondent determined that such stock had a value of $884.17 per share.

On December 17, 1954, Nemours was a personal holding company under the Internal Revenue Code and its principal asset was 33,300 shares of the common stock of Delaware Realty and Investment Company. The dividend policy of Nemours was fixed by the petitioners and was determined by the amount of income receivable by petitioners from sources other than dividends from Nemours so as to limit the overall tax rate of themselves and Nemours to 85%. The profit and loss statement, earnings per share before and after taxes, as well as total dividends and dividends per share paid for the calendar years 1950 through 1954, were as follows:

NEMOURS CORPORATION

Profit and Loss Statements

INCOME19501951195219531954
Dividends$1,232,158.50$766,363.00$699,509.37$748,917.00$1,093,905.00
Received
Interest353.5583.50
Received
Farm Income21,477.5733,819.2524,613.8620,239.5215,931.05
Sale of2,557.37(246.73)41,591.3019,181.651,101.38
Capital
Assets
Net Income51,982.94
from Gas &
Oil
Total$1,308,528.93$800,019.02$765,714.53$788,338.17$1,110,937.43
EXPENSE
Real Estate$ 202.25$ 207.70$ 268.32$ 163.07$ 194.17
Interest14,382.1114,977.1120,844.7520,924.1320,166.94
Office29,656.1027,402.9130,045.17

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Dean v. Commissioner, 1960 T.C. Memo. 54, 19 T.C.M. 281, 1960 Tax Ct. Memo LEXIS 235 (tax 1960).

1960 T.C. Memo. 54 (Dean v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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