Dempf v. Commissioner

1981 T.C. Memo. 720, 43 T.C.M. 138, 1981 Tax Ct. Memo LEXIS 26
CourtUnited States Tax Court
DecidedDecember 21, 1981
DocketDocket No. 15363-79.
StatusUnpublished

This text of 1981 T.C. Memo. 720 (Dempf 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
Dempf v. Commissioner, 1981 T.C. Memo. 720, 43 T.C.M. 138, 1981 Tax Ct. Memo LEXIS 26 (tax 1981).

Opinion

LOUIS DEMPF, JR. AND STELLA M. DEMPF, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Dempf v. Commissioner
Docket No. 15363-79.
United States Tax Court
T.C. Memo 1981-720; 1981 Tax Ct. Memo LEXIS 26; 43 T.C.M. (CCH) 138; T.C.M. (RIA) 81720;
December 21, 1981.
Louis Dempf, Jr., pro se.
Bradford A. Johnson, for the respondent.

FORRESTER

MEMORANDUM FINDINGS OF FACT AND OPINION

FORRESTER, Judge: Respondent has determined a deficiency in petitioners' Federal income tax for the calendar year 1976 in the amount of $ 8,562.48. The issues for decision are whether petitioners*27 sustained a loss in 1976 as a result of certain transfers to Towne Kar Kare, Inc., and if so, whether it is capital or ordinary.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found.

Petitioners are husband and wife who resided in Delmar, New York, at the time the petition herein was filed. They timely filed their joint Federal income tax return for 1976 with the Internal Revenue Service at Albany, New York. Stella M. Dempf is a party to this proceeding solely by virtue of having filed a joint income tax return with her husband; consequently, Louis Dempf, Jr., will hereinafter be referred to as petitioner.

Petitioner is an attorney with offices in Labany, New York. Since entering the private practice of law in 1955 petitioner has concentrated his efforts on the legal affairs of small businesses. It was his usual method of operating to assist individuals interested in going into business with the formation and development of their proprietorship, partnership or corporation. Petitioner would usually not charge a fee for the time he devoted to a fledgling company in hope that as the company grew and prospered he would be retained to handle their legal*28 affairs for a fee. He was continually ready, willing and able to be a corporate officer or director, as well as to devote time to the actual operation and management of a business interprise. Petitioner believes that this had been a rewarding way in which to conduct his legal practice.

In 1968 or 1969, petitioner was approached by Bill and Bob Webb (hereinafter sometimes referred to as the Webbs) who sought to begin a carwash business. Petitioner assisted them by looking for a location, checking zoning, and ultimately negotiating the purchase of an existing carwash. Petitioner did not charge the Webbs a fee for these services. In November 1969, petitioner helped the Webbs form a corporation to own and operate the carwash--Towne Kar Kare, Inc. (hereinafter TKK). TKK finalized the purchase of the Woodlawn Car Wash in March 1970 for $ 72,000. At that time each of the Webbs owned 10 shares (50 percent) of TKK stock. Petitioner was then the secretary of TKK and on its board of directors, but he did not own any stock therein.

By August 1970, TKK had run into financial difficulties. On August 4, 1970, petitioner accepted the Webbs' offer to purchase 10 shares (one-third interest) *29 of TKK for $ 2,000. The business, however, continued to lose money. For its taxable years ending September 30, 1972, through September 30, 1976, TKK incurred net losses of $ 23,651.30, $ 6,310.06, $ 10,939.20, $ 15.56, and $ 4,443.43, respectively. 1 In order to operate notwithstanding these losses, TKK, through petitioner's contacts, borrowed heavily from local financial institutions with which he had longstanding relationships. Additionally, the petitioner personally made the following payments to or on behalf of TKK:

PayeeDateAmount
Harvey Segal8/14/70$ 400.00
TKK, Inc.12/10/70350.00
TKK, Inc.1/7/712,650.00
State Tax Commission4/22/712,650.00
TKK, Inc.9/24/711,500.00
TKK, Inc.8/25/711,000.00
TKK, Inc.8/3/711,000.00
TKK, Inc.5/19/712,000.00
Duren Sales Corp.10/19/721,400.00
Cash10/26/721,000.00
Heartland Leasing10/31/721,319.99
Heartland Leasing11/3/721,319.99
NYS Tax Commission11/21/72470.55
NYS Tax Commission11/21/72299.60
TKK, Inc.10/30/721,000.00
TKK, Inc.1/27/722,000.00
TKK, Inc.1/10/722,000.00

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Bluebook (online)
1981 T.C. Memo. 720, 43 T.C.M. 138, 1981 Tax Ct. Memo LEXIS 26, Counsel Stack Legal Research, https://law.counselstack.com/opinion/dempf-v-commissioner-tax-1981.