Estate of Albert Patterson Humphrey v. Commissioner

5 T.C.M. 34, 1946 Tax Ct. Memo LEXIS 288
CourtUnited States Tax Court
DecidedJanuary 18, 1946
DocketDocket No. 5430.
StatusUnpublished

This text of 5 T.C.M. 34 (Estate of Albert Patterson Humphrey 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
Estate of Albert Patterson Humphrey v. Commissioner, 5 T.C.M. 34, 1946 Tax Ct. Memo LEXIS 288 (tax 1946).

Opinion

Estate of Albert Patterson Humphrey, Deceased, Joe A. Humphrey, Temporary Administrator, v. Commissioner.
Estate of Albert Patterson Humphrey v. Commissioner
Docket No. 5430.
United States Tax Court
1946 Tax Ct. Memo LEXIS 288; 5 T.C.M. (CCH) 34; T.C.M. (RIA) 46018;
January 18, 1946
*288 R. B. Cannon, Esq., for the petitioner. Homer J. Fisher, Esq., for the respondent.

OPPER

Memorandum Findings of Fact and Opinion

OPPER, Judge: In this proceeding petitioner estate contests respondent's determination of a deficiency in estate tax of $43,028. Petitioner's decedent, Albert Patterson Humphrey (hereinafter referred to as decedent), died on February 23, 1942. Respondent, in his notice of deficiency, asserts as the bases for his deficiency determination four grounds: (1) that within two years of decedent's death, he and his wife made cash gifts from community property to their two sons aggregating $80,000, and that the gifts by decedent were made in contemplation of death and had a fair market value at the date of his death of $40,000; (2) that decedent's 25 percent interest in the partnership of Joe A. Humphrey Company had a fair market value of $261,022.01 at the time of his death instead of $185,475.72 as reported; (3) that attorneys' fees, estimated in the amount of $2,000 on the return, were not deductible, as there had been no administration of the estate; (4) that certain deductions claimed on the return as debts of the decedent which covered deficiency*289 income taxes, penalties, and interest thereon, all of which are in litigation, were subject to disallowance, as the correct amount of the obligations was not ascertainable.

Petitioner having waived an issue raised in its petition, and the parties having stipulated as to the items covering deficiency income taxes, penalties, and interest, that the amounts determined by this Court in the proceedings styled "Albert Patterson Humphrey, Deceased," Docket No. 4641, 1 be the amounts deductible under point 4 above, three issues remain: (1) whether the gifts were made in contemplation of death; (2) the fair market value of decedent's interest in Joe A. Humphrey Company, the partnership, the difference arising primarily over the value to be placed on the so-called Mosier lease, the partnership's principal asset, and (3) the amount of attorneys' and accountants' fees allowable as administration expenses.

Findings of Fact

The decedent was born on September 16, 1860. He had not been active in any business for some time prior to 1911. He died on February 23, 1942, at the age of 81 years; he was a resident of the State of Texas*290 since 1916.

The estate tax return was filed with the collector for the second district of Texas. Option to value the estate as of the date of death was elected.

The causes of his death, listed on the death certificate, were as follows:

The primary cause of death
was:
Primary anemiaduration 12 years
Contributory causes were:
Myocardial failureduration 4 months
Cerebral and coronary
sclerosisduration 15 years

The certificate was signed by Dr. Wilfred J. Allison, who certified thereon that he attended decedent from January 15, 1941, to February 23, 1942.

On the estate tax return, in response to the question "Cause of death and length of last illness," the answer is given "Heart Disease"; in response to the question "Names and addresses of decedent's physicians," the answer is given "Drs. Shuey and O'Brien, Medical Arts Building, Dallas, Texas."

In 1924 decedent was operated on for an indirect inguinal hernia by Dr. Doolittle at Baylor Hospital in Dallas, and upon its recurrence he was operated on again, possibly in 1933.

In 1928, decedent was hospitalized with an ailment which was diagnosed as pernicious anemia; treatment was undertaken, and decedent*291 took liver extract for this condition. From 1928 to 1936 decedent was attended by Dr. William H. Potts.

Decedent was examined in 1931 by Dr. Harold A. O'Brien and was found to have a mild infection of the prostate. He was examined again by Dr. O'Brien in 1941, when decedent was hospitalized from March 3 to March 14, and his condition was diagnosed as benign prostatic hyperthrophy and cystitis; surgery was not undertaken, as Dr. O'Brien did not believe that decedent needed it.

In March, 1941, Dr. Charles B. Shuey, at the request of Dr. Allison, who had rendered medical services to decedent since early in January, 1941, and was not himself available, made visits to decedent at his home, and from that time until the date of decedent's death made 36 home visits, some of which were only for the purpose of administering liver extract.

From May 29 to June 7, 1941, decedent was hospitalized under the care of Dr. Shuey, and his condition was diagnosed as pernicious anemia, chronic prostatitis, ascending infection, cystitis, pyelitis, arteriosclerosis, hypertension.

In November, 1941, decedent suffered a heart attack, from which he did not recover.

For at least ten years prior to his*292 death, decedent made pleasure trips to California, his last such trip being shortly after the making of the gifts in question.

In 1927, Joe A. Humphrey, decedent's son, and Anne P. Humphrey, decedent's wife, became associated in the oil business, decedent's wife contributing the initial capital of $2,500 in cash. On January 15, 1931, a new partnership agreement was executed, and Layton Humphrey, brother of Joe, who had just completed his schooling, was admitted into the partnership, called Joe A. Humphrey Company.

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Related

City Bank Farmers Trust Co. v. McGowan
323 U.S. 594 (Supreme Court, 1945)
Bingham v. Commissioner
15 B.T.A. 1001 (Board of Tax Appeals, 1929)
Huntington v. Commissioner
36 B.T.A. 698 (Board of Tax Appeals, 1937)

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Bluebook (online)
5 T.C.M. 34, 1946 Tax Ct. Memo LEXIS 288, Counsel Stack Legal Research, https://law.counselstack.com/opinion/estate-of-albert-patterson-humphrey-v-commissioner-tax-1946.