Duarte v. Commissioner

44 T.C. 193, 1965 U.S. Tax Ct. LEXIS 86
CourtUnited States Tax Court
DecidedMay 19, 1965
DocketDocket No. 2046-63
StatusPublished
Cited by24 cases

This text of 44 T.C. 193 (Duarte 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
Duarte v. Commissioner, 44 T.C. 193, 1965 U.S. Tax Ct. LEXIS 86 (tax 1965).

Opinion

Pierce, Judge:

Respondent determined a deficiency in income tax against petitioners in the amount of $5,970.45 for the taxable year 1959.

The issues for decision are:

(1) Whether the principal petitioner’s purported transfers to his two children of 50 percent of his stock in a wholly owned business corporation, which he then elected to have taxed as a subchapter S corporation under sections 1371-1377 of the 1954 Code, were bona fide and economically real; or whether the transfers were in form only and lacked economic substance, so as to make all of the taxable income of the corporation attributable to said petitioner.

(2) If said transfers were in substance what they purported to be in form, should an increased portion of the taxable income of the corporation be allocated to said petitioner in order to reflect the value of his services in accordance with section 1375(c) of the 1954 Code?

FINDINGS OF FACT

Some of the facts were stipulated. The stipulation of facts and all exhibits identified therein are incorporated herein by reference.

Henry D. Duarte, Sr., and Dorothy F. Duarte, the petitioners herein, are husband and wife and reside in Englewood Cliffs, N.J. For the calendar year 1959 they filed a joint income tax return with the district director of internal revenue, Manhattan District, New York. Dorothy F. Duarte is a party to this case solely by reason of 'having joined in the joint return, and therefore Henry D. Duarte, Sr., will hereinafter be referred to as the petitioner.

Petitioner has been the president of Graham Accounting & Statistical Corp. (hereinafter called Graham Corp.) since its incorporation under the laws of New York in January of 1956. From 1940 to 1956 the business had been operated by petitioner as a sole proprietorship ; and at the time of incorporation of Graham Corp. all of the 100 shares of capital stock of the corporation were issued to petitioner.

Graham Corp. furnished temporary office help to other businesses in the New York area. It kept a file of available bookkeepers, stenographers, and other office help; and when called upon to do so, would furnish businesses with temporary office help by the hour, day, week, or longer periods of time. It paid the wages of the help it sent out, and charged the businesses an amount to cover wages, taxes, overhead costs, and profit. The advantage to a business that availed itself of the Graham Corp. services, was that it did not need to carry employees for a full year in order to handle busy seasons. Graham Corp. also provided businesses with other services such as the preparation of payroll tax returns and other tax reports.

Petitioner has two children — a son, Henry Duarte, Jr., who was born on June 7,1942, and was about 15 years of age in the taxable year here involved; and a son, William P. F. Duarte, who was born on December 18,1949, and was about 8 years of age at that time. On May 11, 1958, petitioner endorsed his stock certificate for 100 shares of Graham Corp. (being all the shares of said corporation) as follows:

For Value Received I hereby sell, assign, and transfer unto H. D. Duarte, Sr. (50 shares), Henry Duarte, Jr. 25 shares) & Wm. P. F. Duarte (25 shares) Shares of the Capital Stock represented by the within Certificate * * *.

Petitioner’s stock certificate for the 100 shares was then turned back to the corporation and on May 12,1958, the corporation issued a certificate for 50 shares to petitioner, a certificate for 25 shares to Henry D. Duarte, Jr., and a certificate for 25 shares to William P. F. Duarte. On the new stock certificates issued to petitioner’s children, the names of the owners were designated at “Henry Duaete, Je” on one certificate, and as “William P. F. Duaete” on the other certificate. At a subsequent date in 1959 the certificates were amended by inserting on the face of each certificate the additional words “To Doeothy Duaete as Custodian foe” before the name theretofore shown on each certificate, and also by adding the words “UndeR the New York Uniform Gifts to Minoes Act” after the name on each certificate.

The New York Uniform Gifts to Minors Act became effective on July 1, 1959, and it repealed the Gifts of Securities to Minors Law which had theretofore been in effect. The above-mentioned purported transfers of stock by petitioner to his children in May 1958 did not meet the requirements of the Gifts of Securities to Minors Law, because the certificates were not at that time registered in the name of a custodian.1

Petitioner filed a gift tax return for the year 1958 reflecting the purported transfer of 25 shares of stock to each of his children; but there was no reportable gift tax liability.

In January 1959 Graham Corp. filed its election in accordance with section 1872(a) of the Internal Revenue Code of 1954 to be taxed as a small business corporation, and the corporation then qualified for tax treatment as what is sometimes called a subchapter S corporation or a tax option corporation. Subsequently, on January 5, 1959, a resolution was passed by the board of directors of Graham Corp. reducing petitioner’s salary from the $30,000 he had been receiving annually in 1956, 1957, and 1958, to $15,600. Petitioner actually received for his services $15,200 in 1959, $14,800 in 1960, and $15,600 in 1961.

Petitioner filed on behalf of the corporation a small business corporation return (Form 1120-S) for the calendar year 1959 with the district director of internal revenue, New York, N.Y., and also similar returns for the years 1960 and 1961. The following summary shows the amounts reported on said returns as having been distributed to petitioner’s children during each of the years 1959, 1960, and 1961:

Year Date of distribution Amount of dividend distributions Petitioner Henry Duarte Henry, Jr. William P. F. Total undistributed taxable Total taxable income per 1120-S
Dec. 18,1959 Dec. 28,1959 $8,000.00 $4,000.00 $4,000.00 $1,982.54 $17, 982.54
1960 Dec. 1,1960 8,000.00 4,000.00 4,000.00 5,509.43 21,509.43
1961 Dec. 31,1961 30,686.92 J 15,343.46 115,343.46 61,373.83
Totals— 46,686.92 23,343.46 23,343.46 7,491.97 100,865.80

The above summary reveals that a total of $23,343.46 was distributed as dividends to petitioner’s son Henry during the years 1959, 1960, and 1961; and that a like amount was distributed as dividends to his son William for the same year. In fact, neither the designated custodian of these children, nor the children themselves, received any of these amounts.

As regards the year 1959 here involved, the above summary reveals that on December 28 of that year $4,000 was distributed to each of petitioner’s children; but here again, no portion of such amount was received by either of the children. No custodian account for Henry Duarte, Jr., was opened until December 29, 1961; and no account of this type was opened for William P. F. Duarte until January 30, 1962.

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Duarte v. Commissioner
44 T.C. 193 (U.S. Tax Court, 1965)

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Bluebook (online)
44 T.C. 193, 1965 U.S. Tax Ct. LEXIS 86, Counsel Stack Legal Research, https://law.counselstack.com/opinion/duarte-v-commissioner-tax-1965.