Estate of Campbell v. Commissioner

1964 T.C. Memo. 53, 23 T.C.M. 398, 1964 Tax Ct. Memo LEXIS 284
CourtUnited States Tax Court
DecidedMarch 2, 1964
DocketDocket No. 85391.
StatusUnpublished

This text of 1964 T.C. Memo. 53 (Estate of Campbell 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 Campbell v. Commissioner, 1964 T.C. Memo. 53, 23 T.C.M. 398, 1964 Tax Ct. Memo LEXIS 284 (tax 1964).

Opinion

Estate of Ira A. Campbell, deceased, Donald Cameron and Lucian J. Clarke, executors and Estate of Zella Fay Campbell, deceased, Lucian J. Clarke, administrator, c.t.a. v. Commissioner.
Estate of Campbell v. Commissioner
Docket No. 85391.
United States Tax Court
T.C. Memo 1964-53; 1964 Tax Ct. Memo LEXIS 284; 23 T.C.M. (CCH) 398; T.C.M. (RIA) 64053;
March 2, 1964
*284 Earl Q. Kullman, 120 Broadway, New York, N. Y., and Folger Brink, for the petitioners. Marie L. Garibaldi and Leo A. Burgoyne, for the respondent.

MULRONEY

Memorandum Findings of Fact and Opinion

MULRONEY, Judge: The respondent determined deficiencies in income tax and additions to tax for the years 1950 and 1951 as follows:

Additions
to Tax Sec.
294(d)(1)(A),
YearDeficiencyI.R.C. of 1939
1950$11,992.51$18,900.46
195131,046.962,794.21
Petitioner claims an overpayment for the year 1950. The issues are (1) whether petitioner is entitled to a business bad debt deduction in 1950 or 1951 for loans advanced by Ira A. Campbell to Charles W. Harrison and Bruce Harrison or, in the alternative, whether petitioner is entitled to an embezzlement loss in the amount of the loans; (2) whether petitioner is entitled to a business bad debt deduction in 1950 of $29,429.26 for the amounts advanced by Ira A. Campbell to Athermoplast Products, Inc. and (3) whether petitioner is liable for additions to tax in 1950 and 1951 under section 294 (d)(1)(A) of the Internal Revenue Code of 19391 for the failure of Ira A. Campbell and Zella Fay*285 Campbell to file a declaration of estimated tax for those years.

Findings of Fact

Some of the facts were stipulated and they are so found.

Ira A. Campbell and Zella Fay Campbell, both now deceased, were residents of New York, New York. They filed joint returns for 1950 and 1951 with the then collector of internal revenue for the Third New York District in New York, New York. Ira died in March 1963 and Zella died in February 1954. The Estates of Ira A. Campbell and Zella Fay Campbell will hereinafter be called petitioner or petitioners.

Ira and Zella did not file a declaration of estimated tax for the years 1950 and 1951.

From 1902 until his retirement about 1960, Ira was engaged in the practice of law. During most of this period he specialized in admiralty law, and after practicing in Seattle, Washington (to about 1909), San Francisco, California (to 1918) and an interval in Washington, D.C. in Government work dealing with admiralty law, Ira went to New York in 1919 where he joined a law firm. During the years here involved Ira was a senior partner in the firm*286 of Kirlin, Campbell & Keating.

In 1912 Ira acquired certain ranch land in Tulare County, California, which he leased for a number of years, and in 1963 Ira still owned about 400 acres of land in Tulare County. In the 1920s Ira became a stockholder in Skinner Automotive Device Company, Inc. (later succeeded by Skinner Motors, Inc.), which manufactured oil rectifiers, oil reclaimers and other automobile accessories and also developed a new type of internal combustion engine. Subsequently, Ira became a stockholder in Skinner Purifiers, Inc., which manufactured oil filters. Ralph L. Skinner was the managing officer of all three of the Skinner corporations, which were all located in Detroit, Michigan. Skinner Purifiers, Inc. was sold to Bendix Aviation Company in 1946 and Ira realized a substantial profit on the sale of his stock.

In the 1920s Ira made an investment in the Dempsey Oil Corporation which was drilling oil wells in Oklahoma. In the 1920s Ira invested in several theatrical ventures. In 1928 Ira became a stockholder in American Bio-Chemical Laboratories, Inc. which was formed to develop and market certain drug products developed by L. W. Tomarkin. The name of the corporation*287 was later changed to Campbell Products, Inc. In 1950 the corporation was liquidated and Ira reported a substantial long-term capital gain in 1950 arising from this transaction. Subsequently one of the principal products which had been manufactured by Campbell Products, Inc., was sold for a substantial price. Ira later acquired an interest in a copartnership, Campbell Pharmaceutical Co.

In 1928 Ira invested in the Knight Filter Co., which corporation manufactured a filter developed by Charlotte S. Knight. In the 1940s Ira became a stockholder in Tax Control Records, Inc., a corporation which prepared income tax returns for its customers on the basis of records kept in books prepared and sold by the corporation. About 1940 Ira acquired an interest in Modern Waterproofing Paint Company, which was organized to manufacture a waterproofing paint under a license obtained by L. W. Tomarkin from a French company. Ira sold his interest in a successor corporation in 1954. In the 1940s Ira became a stockholder in Complete Combustion Company which manufactured an apparatus for the burning of fuel oil. In 1946 Ira advanced funds to enable Michel F. Mabardi (or Lombardi) to manufacture a chemical*288 product which had been developed by him.

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Related

Whipple v. Commissioner
373 U.S. 193 (Supreme Court, 1963)
Bouche v. Commissioner
18 T.C. 144 (U.S. Tax Court, 1952)
Monteleone v. Commissioner
34 T.C. 688 (U.S. Tax Court, 1960)
Weingarten v. Commissioner
38 T.C. 75 (U.S. Tax Court, 1962)

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Bluebook (online)
1964 T.C. Memo. 53, 23 T.C.M. 398, 1964 Tax Ct. Memo LEXIS 284, Counsel Stack Legal Research, https://law.counselstack.com/opinion/estate-of-campbell-v-commissioner-tax-1964.