Dembner v. Commissioner

1974 T.C. Memo. 180, 33 T.C.M. 773, 1974 Tax Ct. Memo LEXIS 139
CourtUnited States Tax Court
DecidedJuly 8, 1974
DocketDocket No. 1359-72.
StatusUnpublished

This text of 1974 T.C. Memo. 180 (Dembner 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
Dembner v. Commissioner, 1974 T.C. Memo. 180, 33 T.C.M. 773, 1974 Tax Ct. Memo LEXIS 139 (tax 1974).

Opinion

SIDNEY DEMBNER and EVELYN DEMBNER, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Dembner v. Commissioner
Docket No. 1359-72.
United States Tax Court
T.C. Memo 1974-180; 1974 Tax Ct. Memo LEXIS 139; 33 T.C.M. (CCH) 773; T.C.M. (RIA) 74180;
July 8, 1974, Filed.

*139 The petitioners made loans, pledged stock as security for loans, and paid money for stock to be issued pursuant to various requests for funds mady by their son-in-law. The loans were not repaid, and the stock was not issued. Held, the funds and pledge were not obtained under circumstances constituting thefts under sec. 165(c), I.R.C. 1954; held further, one loan and part of the payment made to secure the return of the pledged stock resulted in worthless nonbusiness debts in 1968 under sec. 166(d), I.R.C. 1954.

Ronald F. Kidd, for the petitioners.
Jeffery C. Kahn, for the respondent.

SIMPSON

MEMORANDUM FINDINGS OF FACT AND OPINION

SIMPSON, Judge: The respondent determined the following deficiencies in the petitioners' Federal income taxes:

YearDeficiency
1965$3,127.00
19667,059.60
19671,989.00
19686,524.00
19692,444.00

The issues which must be decided are whether transfers of certain money and property by the petitioners (1) were obtained under circumstances which constituted thefts under section 165(c) of the Internal Revenue Code of 1954, 1 or (2) resulted in worthless nonbusiness debts in 1968 under section 166(d).

FINDINGS OF FACT

Some of the facts have been stipulated, *141 and those facts are so found.

The petitioners, Sidney Dembner and Evelyn Dembner, husband and wife, resided in Wescosville, Pennsylvania, at the time of filing their petition herein. They filed their joint Federal income tax returns, using a cash method of accounting, with the district director of internal revenue, Philadelphia, Pennsylvania, for the years 1965, 1966, 1968, and 1969, and with the district director of internal revenue, Newark, New Jersey, for the year 1967.

The petitioners' daughter, Marian Dembner, married Sheldon Turner in October 1966. He was employed by the Jet Lithographing Corporation (Jet) of New York, of which Irving Malkin was an owner. During April 1967, Mr. and Mrs. Turner approached Mr. and Mrs. Dembner to borrow funds to allow Mr. Turner to enter into a new printing business with Mr. Malkin. The business was to be called Trylon. Based on assertions made by Mr. Turner, Mr. and Mrs. Dembner believed that Trylon was a going printing business currently owned by a widow who wanted to sell her interest and that Mr. Turner's investment was going to be used to purchase it. Mrs. Dembner promised to loan him $16,000 which he intended to use in the business. *142 On April 24, 1967, Mrs. Turner, signing as Marian Dembner, drew a check for $6,000 on an account at the American Bank and Trust Co. of Pa. Although Mrs. Turner drew the check, the funds in the account belonged to her parents. Subsequently, Mr. Turner ceased working for Jet and, after Mr. Malkin withdrew from the proposed venture, went into the printing business for himself under the name of Dayna Lithographers (Dayna) of New York.

During May 1967, Mr. Turner, doing business as Dayna, purchased a lithographing machine from Jet for $6,825. Out of the $6,000 he had received in April, he made a downpayment of $2,325 on the machine. Mr. Turner assumed a series of notes for the rest of the purchase price; 23 notes were issued in June 1967. Only 7 notes, amounting to $1,400, were paid; the $3,100 balance was not paid. Mr. Turner used the rest of the $6,000 to purchase inventories and rent a loft. On May 23, 1967, still doing business as Dayna, he purchased an offset press from Royal Zenith Corporation (Royal Zenith) under a conditional sales contract. Since he received a credit toward the purchase price by reason of trading in the machine he had purchase earlier from Jet, the balance*143 payable under the contract was $24,264.23. From August to December 1967, he made 5 installment payments, amounting to $2,025.00, leaving unpaid $22,239.23.

On June 2, 1967, Mrs. Dembner drew a check to Mr. Turner for $10,000 on the account at the American Bank and Trust Co. of Pa. Such check represented the remaining part of the $16,000 she had promised him in April. About the middle of June 1967, Mr. and Mrs. Turner signed a promissory note, due January 1, 1968, for $16,000 to Mrs. Dembner in return for the loan. Mrs. Dembner and Mrs. Turner opened a savings account with a bank in New York through which the loan was to be repaid. Mr.

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1974 T.C. Memo. 180, 33 T.C.M. 773, 1974 Tax Ct. Memo LEXIS 139, Counsel Stack Legal Research, https://law.counselstack.com/opinion/dembner-v-commissioner-tax-1974.