Estate of Applestein v. Commissioner

80 T.C. No. 10, 80 T.C. 331, 1983 U.S. Tax Ct. LEXIS 120
CourtUnited States Tax Court
DecidedFebruary 2, 1983
DocketDocket No. 4788-79
StatusPublished
Cited by15 cases

This text of 80 T.C. No. 10 (Estate of Applestein 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 Applestein v. Commissioner, 80 T.C. No. 10, 80 T.C. 331, 1983 U.S. Tax Ct. LEXIS 120 (tax 1983).

Opinion

Wilbur, Judge:

Respondent determined a deficiency in petitioners’ Federal income tax for 1973 in the amount of $19,531.48.1 The issues presented for our determination are (1) whether petitioners are taxable on the gain reported by their two children from the exchange of National Realty stock transferred to them by petitioner Louis Applestein after the approval of a merger of National Realty Corp. with United National Corp. but shortly before its effective date, and (2) whether petitioners are taxable on income derived from certain securities trading by petitioner Louis Applestein in accounts which he set up for his two children.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts and attached exhibits are incorporated herein by this reference.

Petitioners Margita and Louis Applestein filed a timely joint 1973 Federal income tax return with the District Director, Newark, N.J.2 Petitioner Louis Applestein (hereafter petitioner) resided in Trenton, N.J., at the time of filing the petition herein.

Petitioner is a retired Internal Revenue Service Examination Division Group Manager and a certified public accountant. Since approximately 1950, petitioner has been involved in trading in the stock market and, during 1973 and several years prior thereto, was actively trading in securities through several brokerage firms, including Merrill Lynch, Pierce, Fenner & Smith and Kalb, Voorhis & Co.

Petitioner maintained a number of securities trading accounts with Kalb, Voorhis & Co. during 1973 and prior thereto including a margin account, short account, cash account, special bond account, and convertible bond account.

Petitioner and his late wife had two children, Scott C. Applestein (Scott), born on February 18, 1955, and Sadie S. Applestein (Sadie), born on December 23, 1953. During 1973 and 1974, Scott and Sadie were full-time students and were dependent upon petitioner for support. Sadie was attending college away from home during 1973 while Scott was either a senior in high school or a freshman in college during that year.

Prior to February 1973, Scott and Sadie both owned outright a number of securities which were acquired by gift during their childhood years, mostly from their grandparents. As of December 31, 1972, Scott owned outright the following securities:

Number/ denomination Security Date acquired
400 National Realty Corp. Dec. 1972
100 U.S. Hoffman Machinery Corp. Pfd. Mar. 1957 - Nov. 1958
$5,000 Gulf & Western 6/88 Oct. 1968
$4,000 McCrory Corp. 5/81 Apr. 1966
500 Offshore Sea Development Co. Apr. 1969
100 Lykes, Youngstown 2.50 Ser. A. Pfd. May 1969
$3,000 Southdown Notes May 1970
$2,000 Gulf, Mobile & Ohio 5% Mar. 1959
$4,000 Gulf, Mobile & Ohio 5% July 1960
100 Chesapeake & Ohio RR (Chessie System) Dec. 1961
86 First National State Bancorp. Unknown
61 Gulf & Western Ser. A. 1.75 Pfd. Jan. 1964
400 United National Corp. Pfd. July 1972

As of December 31,1972, Sadie owned outright the following securities:

Number/ denomination Stock or security Date acquired
400 National Realty Corp. Dec. 1972
$3,000 McCrory Corp. 5/81 Apr. 1966
500 Offshore Sea Development Co. Apr. 1969
$12,400 Wean United Feb. 1969
$2,000 Gulf, Mobile & Ohio 5% Mar. 1959
$4,000 Gulf, Mobile & Ohio 5% July 1960
100 Chesapeake & Ohio RR (Chessie System) Dec. 1961
100 U.S. Hoffman Corp. Pfd. Mar. 1957 - Nov. 1958
84 U.S.M. Corp. Dec. 1957 - July 1963
18 Katy Ind. Pfd. Cl. B. 1.46 Ser. Unknown
86 First National State Bancorp. Unknown
69 Gulf & Western Ser. A. 1.75 Pfd. Jan. 1964
$5,000 Gulf & Western 6/88 Oct. 1968
200 United National Corp. Pfd. July 1972

During 1972, petitioner established brokerage accounts at Kalb, Voorhis & Co. for Scott and Sadie and designated himself custodian of the securities therein under the provisions of the New Jersey Uniform Gifts to Minors Act, N.J. Stat. Ann. sec. 46:38-13 et seq. (West Supp. 1981).

As of January 1, 1973, the following securities and stocks previously owned outright by the children had been transferred to the custodial account of Scott and Sadie established by petitioner at Kalb, Voorhis & Co:

Scott C. Applestein
$5,000.Gulf & Western 6/88
$4,000.McCrory Corp. 5/81
100.Lykes, Youngstown Corp. 2.50 Ser. A/Pfd.
400.United National Corp. Pfd.
Sadie S. Applestein
$3,000.McCrory Co. 5/81
$5,000.Gulf & Western 6/88
$12,400.Wean United
200.United National Corp. Pfd.

These securities were among those owned by Scott and Sadie as of December 31,1972.

Petitioner, an experienced stock trader, purchases securities on a short-term basis, primarily looking for a merger or tender offer situation where he may realize a profit on the differential between the market and offering price for the particular stock in question. Petitioner reads Value Line and the Wall Street Journal to obtain the information upon which he makes his decisions to buy and sell securities. In addition, petitioner considers the "track record” of the particular company on takeovers in making such decisions.

On December 26, 1972, United National Corp. (United National) and National Realty Corp. (National Realty) entered into an agreement whereby it was proposed, subject to shareholder approval, that National Realty be merged into United National. On December 29, 1972, a proxy statement describing the terms of the proposed merger was sent to the shareholders of both National Realty and United National.

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Estate of Applestein v. Commissioner
80 T.C. No. 10 (U.S. Tax Court, 1983)

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Bluebook (online)
80 T.C. No. 10, 80 T.C. 331, 1983 U.S. Tax Ct. LEXIS 120, Counsel Stack Legal Research, https://law.counselstack.com/opinion/estate-of-applestein-v-commissioner-tax-1983.