Edgar v. Commissioner

56 T.C. 717, 1971 U.S. Tax Ct. LEXIS 102
CourtUnited States Tax Court
DecidedJuly 8, 1971
DocketDocket Nos. 3237-67, 3340-67, 3341-67, 2911-68 -- 2926-68
StatusPublished
Cited by54 cases

This text of 56 T.C. 717 (Edgar 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
Edgar v. Commissioner, 56 T.C. 717, 1971 U.S. Tax Ct. LEXIS 102 (tax 1971).

Opinion

FeathekstoN, Judge:

Respondent determined deficiencies in petitioners’ income tax and additions to tax under sections 6651(a) 2 and 6653(a) as follows:

Docket No. Taxable Additions to tax year Amount-Sec. 6651(a) Sec.6653(a)
3237-67. Í1962 $23,914.44. (1963 17,153.34 .
3340-67. 1963 16,484.29 .
3341-67. 1903 15,176.11 .
2911-68. 1964 179,042.72 .
2912-68.. 1964 144,048.91 .
2913-68.. 1964 40,817.77 .
2914-68. 1964 68,179.28 .
2915-68. 1964 57,308.14 .
2916-68. 1964 95,970.48 $23,992.62 .
2917-68.. 1964 87,267.20 21,816.80 .
2918-68.. 1964 105,971.52 26,492.88 .
2919-68.. 1964 40,478.31 10,119.57 .
2920-68. 1964 45,429.16 11,367.29 .
2921-68.. 1964 68,971.44 14,742.86 .
2922-68.. 1964 51,773.91 12,943.47 .
2923-08. 1964 138,812.74 . $6,940.64
2924-68. 1964 121,002.82 30,260.70 .
2925-68.. 1964 5,591.70 1,397.92 .
2926-68. 1964 209.12 52.28 .

Tbe issues presented for decision are:

(1) Whether members of tbe Strain family (docket Nos. 2911-68 through 2915-68) or, in tbe alternative, trusts created by them (docket Nos. 2916-68 through 2922-68) had recognizable capital gain from the sale or exchange of stock in 1964.

(2) Whether William Bussell Strain3 and his wife, Frances Strain 4 (docket No. 2911-68), and Harriet Strain (docket No. 2912-68) or, alternatively, the William Bussell Strain Trust No. CB-1 (docket No. 2916-68) and the Arthur W. Strain Trust No. CB-1 (docket No. 2918-68) had recognizable gain in 1964 as the result of the sale of stock subject to certain liens.

(8) Whether Glenn E. Edgar realized taxable income in 1964 as the result of a bargain purchase of stock which G & E Trust No. CB-7007, created by him, was allowed to make on condition that he arrange the sale of the stock of the Strain corporations; if so, whether the amount of such income is to be computed by reference to annuity tables (docket No. 2923-68); alternatively, whether G & E Trust No. CB-7007 realized short-term capital gain on the sale of the stock (docket No. 292A-68).

(4) Whether Glenn E. Edgar realized taxable income which is to be computed by reference to annuity tables as the result of transfers of cash and a duplex residence to Brigham Young University (docket No. 2923-68); alternatively, whether the Glenn E. Edgar Trust No. CB-2002 realized long-term capital gain on the sale of the duplex residence to Brigham Young University (docket No. 2925-68), and whether the Glenn E. Edgar Trust No. CB-3003 realized ordinary income in consideration of services performed by Glenn E. Edgar, the grantor of the trust (docket No. 2926-68).

(5) Whether Bussell Strain (docket No. 3340-67) and Harriet Strain, on the joint return of herself and her deceased husband (docket No. 3341-67), are entitled to charitable contribution deductions for the remainder values of the stock in Strain Brothers, Inc., which they transferred to trusts in 1963.

(6) Whether Glenn E. Edgar is entitled to charitable contribution deduction for the remainder values of various items of property and cash which he transferred to trusts during 1962,1963, and 1964 (docket Nos. 3237-67 and 2923-68).

(7) Whether Bussell Strain ( docket No. 2911-68) and Harriet Strain (docket No. 2912-68) are entitled to charitable contribution deductions for amounts paid to certain privately controlled foundations during 1964.

(8) Whether Harriet Strain (docket No. 2912-68) is entitled to a charitable contribution deduction for 1964 for the value of a salary continuation agreement which she relinquished in connection with the sale of the stock of the Strain corporations to Brigham Young University.

(9) Whether Bussell Strain (docket No. 3340-67) and Harriet Strain (docket No. 3341-67) realized a constructive dividend in 1963 as a result of the transfer of the Strain Banch to certain privately controlled foundations.

(10) Whether Baymond P. Murphy and Mary Jean Murphy (docket No. 2914-68) have established that they suffered a capital loss during 1964.

(11) Whether Glenn E. Edgar, as grantor and income beneficiary of the Glenn E. Edgar Trust Nos. OB-1 and GB-2, is entitled to deductions for 1962, 1963, and 1964 for losses incurred by partnerships in which the trusts were limited partners (docket Nos. 3237-67 and 2923-68).

(12) Whether the trust petitioners’ failure to file timely income tax returns for 1964 was “due to reasonable cause and not due to willful neglect” within the meaning of section 6651(a) (1); and

(13) Whether the underpayment of income tax by Glenn E. Edgar and Elva Edgar for 1964 was due to “negligence or intentional disregard of rules and regulations” within the meaning of section 6653(a).

FINDINGS OF FACT

General

Petitioners’ legal residences or their principal places of business at the time they filed their petitions and the places where they filed their Federal income tax returns are as follows:

Docket Name Taxable Residence at time Place-where tax No. year of filing petition return was filed
3237-67_Glenn E. Edgar and Elva Edgar Í1962) (husband and wife). (1963J 3340-67_W. R. Strain and Prances Strain 1963 (husband and wife) 3341-67_A. W. Strain (Deceased) by Har- 1963 riet Strain and Harriet Strain 2911-68_W. R. Strain and Prances Strain 1964 (husband and wife) 2912-68_Harriet Strain__ 1964 2913-68_Arthur W. Strain, Jr., and Jac- 1964 queline M. Strain (husband and wife) 2914-68_- Raymond P. Murphy and Mary 1964 Jean Murphy (husband and wife) 2916-68_George E. Hurd, Jr., and Hath- 1964 erine Hurd (husband and wife) 2916-68,.-. William Russell Strain Trust No. 1964 CR-1, Brigham Young University, trustee 2917-68_William Russell Strain Trust No. 1964 CR-2, Brigham Young University, trustee 2918-68_Arthur W. Strain Trust No. CR- 1964 1, Brigham Young University, 2919-68_Arthur W. Strain Trust No. CR- 1964 2, Brigham Young University, trustee. 2920-68_Arthur Waldo Strain, Jr., Trust 1964 No. CR-1, Brigham Young University, trustee. Salt Lake City, Utah. Salt Lake City, Utah. Great Falls, Mont._Helena, Mont. Great Palls, Mont.Helena, Mont. Great Palls, Mont._Helena, Mont. Great Palls, Mont_Helena, Mont. Great Palls, Mont.Helena, Mont. Alexandria, Va.Albany, N. Y. Kailua, Hawaii.Honolulu, Hawaii. Provo, Utah..Salt Lake City, Utah. Provo, Utah.Salt Lake City, Utah.

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Bluebook (online)
56 T.C. 717, 1971 U.S. Tax Ct. LEXIS 102, Counsel Stack Legal Research, https://law.counselstack.com/opinion/edgar-v-commissioner-tax-1971.