Eisenberg v. Commissioner

78 T.C. No. 25, 78 T.C. 336, 1982 U.S. Tax Ct. LEXIS 129
CourtUnited States Tax Court
DecidedMarch 3, 1982
DocketDocket No. 828-79
StatusPublished
Cited by19 cases

This text of 78 T.C. No. 25 (Eisenberg 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
Eisenberg v. Commissioner, 78 T.C. No. 25, 78 T.C. 336, 1982 U.S. Tax Ct. LEXIS 129 (tax 1982).

Opinion

Featherston, Judge:

Respondent determined deficiencies in the amounts of $29,880 and $400,495 in petitioners’ Federal income taxes for 1976 and 1977, respectively.

After concessions by both parties, the issues remaining for decision are:

(1) Whether petitioners realized ordinary income under section 12451 due to the foreclosure of a mortgage on their cruise vessel, the Xanadu, in 1977; and

(2) Whether petitioners are entitled to a bad debt deduction in the amount of $1,101,779 in either 1976 or 1977.

FINDINGS OF FACT

At the time the petition was filed, petitioners resided in Seattle, Wash. They filed joint Federal income tax returns for 1976 and 1977 with the Internal Revenue Service Center, Ogden, Utah. Petitioners filed these returns using a cash method of accounting.

In the first half of 1974, petitioners purchased the cruise ship, Xanadu for $1,600,000. Subsequently, they claimed depreciation deductions for it on their Federal income tax returns as follows:

Year Depreciation claimed

1974 . 1$234,740

1975 . 360,000

1976 .!. 400,000

1977 . 296,329

Total. 1,291,069

On April 1, 1974, petitioners entered into a "Bareboat Charter Party Agreement” with Xanadu Cruises, Inc. (hereinafter the corporation), a Panamanian corporation2 wholly owned by petitioners.3 Under this charter agreement, petitioners leased the Xanadu to the corporation. The agreement, which was to be in effect "for a period of about three (3) years,” called for delivery of the Xanadu to the corporation on or before May 25,1974. The corporation agreed to pay petitioners $27,000 per month for the use of the Xanadu. However, no rent was ever paid by the corporation under the agreement because the corporation never had any money with which to make the payments.

In October 1975, petitioners, as individuals, entered into a loan agreement with Seattle-First National Bank (Seafirst). Petitioners signed a note payable to Seafirst, the face amount of which was placed in a "bank control account.” Subsequently, as needed to cover overdrafts of the corporation, Seafirst transferred funds from the "bank control account” to the corporation’s account. At the time of each such transfer, the corporation (by petitioner June A. Eisenberg) executed a note payable on demand to petitioners in the amount of the funds transferred to cover the overdraft, with interest at the rate of 12 percent. Under this arrangement, the following notes payable to petitioners were executed by the corporation:

Date Amount

Oct. 13, 1975 $296,200.19

Oct. 15, 1975 20,000.00

Oct. 23, 1975 50,000.00

Oct. 31, 1975 60,000.00

Nov. 7, 1975 10,000.00

Nov. 28, 1975 9,469.96

445,670.15

Balance sheets of the corporation prepared as of various dates during the period December 31, 1975, through October 31, 1976, show as a liability a "Long Term Note — A.J.E.” in the amount of $435,670.4 The balance sheet of the corporation as of October 31, 1975, shows a deficit (or "negative surplus”) of $733,241.

The corporation, which commenced operations on May 21, 1974, consistently lost money from operating the Xanadu as a cruise ship. By July 31, 1975, the corporation had incurred a deficit of $497,983, and by October 31, 1976, its deficit had increased to $1,529,062. After October 31, 1976, the Xanadu was not operated by the corporation as a cruise ship, and the corporation did no other business. However, the corporation was not formally dissolved.

From October 1976 through March 1977, the Xanadu was moored in Vancouver Harbor, Vancouver, B.C. On March 1, 1977, the Canadian National Railway Co. (CNRC) began legal action in Vancouver to sell the Xanadu for past due moorage fees, and the sheriff in Vancouver seized the Xanadu on behalf of CNRC.

Prior to the Xanadu’s seizure, petitioners, in their individual capacity, had filed a chapter XI bankruptcy proceeding. On May 31,1977, the trustee in bankruptcy abandoned any claim to the Xanadu as an asset of the estate because petitioners had no equity in it. In addition to the claims of CNRC against the Xanadu for moorage fees, petitioners owed Seafirst over $2 million, secured by a mortgage on the Xanadu.

On June 7, 1977, Seafirst filed a claim in the Federal Court of Canada against the Xanadu based on the nonpayment of the mortgage notes, and the sheriff in Vancouver seized the Xanadu on behalf of Seafirst. CNRC released its seizure of the Xanadu on June 24,1977.

On October 4, 1977, Seafirst began proceedings in the Canadian court for the sale of the Xanadu. That court ordered that the minimum upset price at which the Xanadu could be sold was $925,000. Seafirst was granted leave to bid as a purchaser at the sale. If the purchase price so bid exceeded (1) certain costs incurred in connection with the proceedings for the sale, plus (2) an amount sufficient to secure all prior claims against the proceeds of the sale, Seafirst would be permitted to set off against the purchase price the amount due to it pursuant to the mortgage on the Xanadu. Proceeds of the sale were, however, to be paid into the Federal Court of Canada "to the credit of all actions in Rem against” the Xanadu, and "all questions respecting the priority of all such creditors to the proceeds of the sale” were to be reserved for later determination.

Seafirst purchased the Xanadu at a sheriffs auction held on December 8, 1977, for $925,000 in Canadian funds ($842,814 U.S.).5 This sum was paid to the Receiver General for Canada, í|s a payment into the Federal Court of Canada. Upon payment of the purchase price, a bill of sale for the Xanadu dated December 16, 1977, was issued to Seafirst by the marshal, County of Vancouver, region 2.6

On January 23,1978, a meeting of creditors was held and all claims, along with that of Seafirst, were filed and considered. On March 20,1978, the Receiver General for Canada distributed $576,000 (Canadian) to Seafirst from the proceeds of the sale. On March 24, 1978, Seafirst formally credited these moneys (after conversion to $510,336 U.S.) to reduce a $1 million indebtedness of petitioners represented by a note dated October 13, 1975. Subsequently, the Federal Court of Canada ordered certain distributions to claimants other than Seafirst against the proceeds of the sale, including a distribution to the marshal of the County of Vancouver, for expenses incurred in seizing and selling the Xanadu.

On September 26,1978, Seafirst and petitioners entered into a "Stipulation and Settlement Agreement” which constituted a complete settlement of all existing claims between them and which provided, in part, that petitioners were to execute a new note payable to Seafirst in the face amount of $1,300,000.

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Eisenberg v. Commissioner
78 T.C. No. 25 (U.S. Tax Court, 1982)

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Bluebook (online)
78 T.C. No. 25, 78 T.C. 336, 1982 U.S. Tax Ct. LEXIS 129, Counsel Stack Legal Research, https://law.counselstack.com/opinion/eisenberg-v-commissioner-tax-1982.