Eller v. Commissioner

77 T.C. 934, 1981 U.S. Tax Ct. LEXIS 33
CourtUnited States Tax Court
DecidedOctober 29, 1981
DocketDocket Nos. 3249-80, 3250-80
StatusPublished
Cited by31 cases

This text of 77 T.C. 934 (Eller 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
Eller v. Commissioner, 77 T.C. 934, 1981 U.S. Tax Ct. LEXIS 33 (tax 1981).

Opinion

Dawson, Judge:

Respondent determined the following deficiencies in petitioners’ Federal income taxes:

Petitioner Docket No. T.Y.E Deficiency
Walt E. Eller and 3249-80 12/31/72 $1,265
Dorothy M. Eller 12/31/73 20,183
Walt Eller Trailer Sales of Modesto, Inc. 3250-80 8/ 1/74 5,028
Walt Eller Trailer Sales of Merced, Inc. 3250-80 8,454 7/31/74

These cases have been consolidated for purposes of trial, briefing, and opinion. After concessions by the parties, the issues remaining for decision are as follows:

(1) Whether income derived by petitioner Walt Eller Trailer Sales of Merced, Inc., from the operation of a commercial shopping center and a mobile home park constitutes personal holding company income (rents) within the meaning of section 543(a)(2)1;

(2) Upon a sale of a parcel of real estate by a related partnership, whether the individual petitioners’ possessory interest in a dwelling situated thereon was based on a sale and leaseback or a reservation of an estate for years; and

(3) Whether amounts paid to the three minor children of the individual petitioners constitute reasonable compensation for personal services actually rendered.

FINDINGS OF FACT

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

Petitioners Walt E. Eller and Dorothy M. Eller (hereinafter Walt and Dorothy or collectively the Ellers) are husband and wife. At the time that they filed their petition in this case, they resided in Soquel, Calif. They filed joint Federal income tax returns for the calendar years 1972 and 1973 with the Internal Revenue Service Center at Fresno, Calif.

Petitioners Walt Eller Trailer Sales of Modesto, Inc. (hereinafter Modesto), and Walt Eller Trailer Sales of Merced, Inc. (hereinafter Merced), are both California corporations solely owned by the Ellers. At the time that they filed their petition in this case, their principal offices were located in Soquel, Calif. Modesto and Merced filed Federal income tax returns for the fiscal years ended August 31, 1974, and July 31, 1974, respectively, with the Fresno Service Center.

During 1972 and 1973, the Ellers owned and operated a mobile home park known as Golden Wheels which was located in Merced, Calif. This business was organized as a proprietorship and the net profit or loss was reported on Schedule C’s. During 1972 and for the first 3 months of 1973, the Ellers owned and operated another mobile home park known as Voyage West which was located in Santa Cruz, Calif. This business was also organized as a proprietorship, and the net profit or loss was reported on Schedule C’s.

During the fiscal year ended August 31, 1974, Modesto derived income from the retail sale of trailers. It maintained several sales lots, each of which was either adjacent or proximate to an Eller-owned mobile home park. During the same period, it also derived income from a partnership and from the operation of a shopping center. These sources of income will be described shortly in greater detail.

On its income tax return for the fiscal year ended July 31, 1974, Merced stated that its principal business activity was "mobile trailer sales.” However, on its return it did not report any gross sales nor did it claim any deduction for cost of goods sold. Like Modesto, it reported income from a partnership and from the operation of a shopping center.

In 1963, Modesto, Merced, and the Ellers formed a partnership. The partnership owned and operated a mobile home park known as Alimur Trailer Park which was located in Soquel, Calif. The park contained approximately 150 spaces available for use by both mobile homes and travel trailers. The partnership derived virtually all of its operating income from the rental of these spaces.2 Modesto and Merced each owned a 25-percent interest in the partnership, and the Ellers owned a 50-percent interest. Early in 1973, the partnership sold the mobile home park on a deferred payment basis. On their returns, the partners reported their distributive shares of the section 1231 gain derived from this sale as well as their distributive shares of the partnership’s ordinary income, principally rents and interest.

In February 1974, Modesto and Merced purchased a commercial shopping center in Santa Cruz known as El Rancho.3 El Rancho was a relatively small "strip” shopping center consisting of two levels with approximately 31,000 square feet of floor space. The lower level housed a variety of small businesses; the upper level housed two apartments and four or five offices. All together there were about 22 or 23 different tenants. Modesto and Merced each owned 50 percent of El Rancho and reported the rents derived from its operation on their income tax returns.

The Ellers have three children, Michael, Patti, and John. In 1972, Michael was 12 years old, Patti was 11, and John was 7. During the taxable periods involved herein, each of the children performed a variety of services for Golden Wheels, Voyage West, the partnership, Modesto, and El Rancho.

Additional Facts Relating to the Personal Holding Company Issue4

On its income tax return for the fiscal year ended July 31, 1974, Merced reported the following items of gross income:

Interest.$3,466
Gross rents.14,368
Net capital gain.47,381
Partnership income.13,504

Merced derived the gross rents from the operation of El Rancho. The net capital gain represents its distributive share of the gain from the sale of Alimur Trailer Park. The partnership income represents its distributive share of the partnership’s ordinary income derived from the operation and subsequent sale of the park. Said income was determined as follows:

Gross rents.$5,198
Interest. 8,789
Sec. 1250 recapture. 140
Deductions. (623)
13,504

Thus, apart from its net capital gain, Merced’s gross income was comprised almost entirely of rents and interest.

Additional Facts Relating to the Right-of-Occupancy Issue5

Alimur Trailer Park consisted of approximately 12 acres. Included within it was a single-family dwelling with multiple-car garage and carport. For some time, the Ellers and their three children had utilized this dwelling as their personal residence.

On January 3, 1973, the partnership entered into a written contract with two unrelated third parties for the purchase and sale of Alimur Trailer Park for $950,000.

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Bluebook (online)
77 T.C. 934, 1981 U.S. Tax Ct. LEXIS 33, Counsel Stack Legal Research, https://law.counselstack.com/opinion/eller-v-commissioner-tax-1981.