Estate of Bowers v. Commissioner

94 T.C. No. 34, 94 T.C. 582, 1990 U.S. Tax Ct. LEXIS 40
CourtUnited States Tax Court
DecidedApril 16, 1990
DocketDocket No. 37702-87
StatusPublished
Cited by30 cases

This text of 94 T.C. No. 34 (Estate of Bowers 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 Bowers v. Commissioner, 94 T.C. No. 34, 94 T.C. 582, 1990 U.S. Tax Ct. LEXIS 40 (tax 1990).

Opinion

OPINION

Raum, Judge:

Petitioner is the Estate of Alexander S. Bowers. The Commissioner determined deficiencies in the decedent’s income tax for the calendar years 1982 and 1983 in the amounts of $43,211.42 and $216,851, respectively. The decedent was a resident of Virginia, and Robert M. Musselman, executor of his estate, was also a resident of Virginia when the petition herein was filed. After concessions, the parties agree that the only remaining issue is whether decedent’s transfer of an oil and gas lease, and acquisition of a farm constituted an “exchange” which qualifies for nonrecognition of gain under section 1031. Unless. otherwise indicated, all section references are to the Internal Revenue Code as amended and in effect for the years in issue, and all Rule references are to the Tax Court Rules of Practice and Procedure. This case was submitted on the basis of a stipulation of facts and a stipulation of issues.

Facts. On April 28, 1982, by letter addressed to American Quasar Petroleum Co. (American Quasar), Bowers agreed to sell a Federal oil and gas lease to it for $2 million. On May 13, 1982, American Quasar endorsed its acceptance of the agreement on that letter, and, as required therein, paid $400,000 earnest money deposit to Bowers on the same day. The remaining $1,600,000 was to be paid upon delivery of an executed assignment of the lease. The assignment was to be made on a form acceptable to the Bureau of Land Management. Delivery of the assignment was to be made “no sooner than 12 months from the simultaneous drawing date of February 25, 1982, and no later than 30 days following the 12 month anniversary date of February 25, 1982.”

Browne Land Trust (the trust) was an entity of which Henry J. Browne was both trustee and a beneficiary. Neither the trust nor Mr. Browne nor anyone else associated with the trust in any way was shown to have any connection with Bowers or American Quasar. At some undisclosed time prior to July 1982, the trust entered into an agreement to purchase approximately 441 acres known as Hickory Ridge Farm (the farm) for a gross purchase price of $870,000 plus $7,000 for the purchase of the sellers’ Federal Land Bank stock.

By letter dated July 6, 1982, the trust agreed to transfer its interest in the farm to Bowers for an additional $200,000. Thus, the offer by the trust was to sell the stock and the farm for a total of $1,077,000, plus payment of closing costs and 1 year’s insurance premium. The purchase price was to be paid as follows:

(a) Assumption of a Federal Land Bank loan in the approximate amount of $120,000, plus purchase of the sellers’ Federal Land Bank stock for $7,000;

(b) Assumption or payoff of a second hen deed of trust note to the trust’s grantor in the principal amount of $380,000;

(c) A temporary note for $322,000;

(d) A temporary note for $200,000; and

(e) Cash of $55,000 to be paid on July 7, 1982, “time being of the essence.”

On July 7, 1982, the trust purchased the farm and the sellers’ Federal Land Bank stock for $877,000 as follows:

To agreed purchase price $870,000.00
By assumption of Federal Land $118,411.44
Bank deed of trust By interest due to sellers but payable in Oct. 1st installment on Federal Land Bank loan 5,466.66
To purchase of Federal Land Bank stock 7,000.00
By two second lien deferred purchase money bonds 380,000.00
By sellers’ share of recording tax 682.00
By sellers’ share of 1982 real estate $2,473.73 taxes on 333.7 acres
By sellers’ share of 1982 real estate taxes on 117.910 acres $658.46
By certified or cashier’s check _ 369,507.71
877,000.00 877,200.00

The cash paid by the trust at closing was obtained from Bowers as follows:

By proceeds of loan per temporary note of July 6, 1982 $322,000.00
By deposit made June 30, 1982 by Bowers 5,000.00
By proceeds of loan to Bowers from National Bank & Trust Co. 55,000.00
By interest earned on $5,000 deposit —7 days at 5.24% 5.06
To fees, expenses, and closing costs $1,950.94 incurred by Trust in closing purchase of the farm
To gross purchase price paid for 369,507.71 purchase of the farm
To Bowers, interest on deposit 5.06
To balance refunded to Bowers 10,541,35
382,005.06 382,005.06

The sum of $10,541.35 was refunded to Bowers by the attorney for the trust on or about July 9, 1982.

As disclosed by Bowers’ 1982 Federal income tax return, he assumed the benefits and burdens of ownership of the farm during that year. He was thus at least in constructive possession of the farm after the foregoing transactions in July 1982, and, either personally or through others (including possibly the trust) acting on his behalf, conducted farming operations thereon for the remainder of 1982. Schedule F of his 1982 return was concerned with income and expenses of a farming business conducted by the taxpayer, and identified the farm as “Hickory Ridge Farm.” The income and deductions reported on that schedule (together with an attachment thereto) related exclusively to the farm purchased by Bowers from Browne Land Trust. Schedule F reported total income of $545, consisting of $420 from the sale of hay and grain and $125 as pasture rent. It also claimed deductions, as follows:

Labor hired $15,187.77
Repairs, maintenance 3,944.14
Interest 46,534.06
Feed purchased 1,513.97
Machine hire 412.62
Supplies purchased 3,983.65
Veterinary fees, medicine 144.00
Taxes 3,706.95
Insurance 7,058.00
Utilities and telephone 699.95
Other (per attached schedule):
Agricultural consultant $593.00
Small tools 178.10
Advertising 160.70
Office supplies 627.47
Employee lodging 13,400.00
Travel and entertainment 6,812.99
Payroll taxes 780.07
Bank charges 102.93

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Bluebook (online)
94 T.C. No. 34, 94 T.C. 582, 1990 U.S. Tax Ct. LEXIS 40, Counsel Stack Legal Research, https://law.counselstack.com/opinion/estate-of-bowers-v-commissioner-tax-1990.