Estate of Ginsberg v. Commissioner

1958 T.C. Memo. 95, 17 T.C.M. 472, 1958 Tax Ct. Memo LEXIS 134
United States Tax Court·Decided May 26, 1958·No. Docket Nos. 50034, 50657.·Unpublished

Opinion

Estate of Charles J. Ginsberg, Deceased, Burton Ginsberg and Harry Steinberg, Co-executors v. Commissioner. Estate of Charles J. Ginsberg, Deceased, Burton Ginsberg and Harry Steinberg, Co-executors, and Annette Ginsberg v. Commissioner.
Estate of Ginsberg v. Commissioner
Docket Nos. 50034, 50657.
United States Tax Court
T.C. Memo 1958-95; 1958 Tax Ct. Memo LEXIS 134; 17 T.C.M. (CCH) 472; T.C.M. (RIA) 58095;
May 26, 1958
Arthur B. Cunningham, Esq., Philip T. Weinstein, Esq., and Daniel L. Ginsberg, Esq., for the Estate of Charles J. Ginsberg, Deceased, and Lawrence G. Ropes, Jr., Esq., for Annette Ginsberg. Roger L. Davis, Esq., for the respondent.

WITHEY

Memorandum Findings of Fact and Opinion

WITHEY, Judge: The respondent determined deficiencies in the income tax of the petitioners and additions to tax under section 293(b) of the Internal Revenue Code of 1939 on account of fraud as follows:

Addition
Docket No.PetitionerYearDeficiencyto tax
50034Estate of Charles J. Ginsberg, Deceased1946$ 4,146.93$ 2,073.47
194765,227.4732,613.74
50657Estate of Charles J. Ginsberg, Deceased,
and Annette Ginsberg194816,576.6910,118.09

*135 Issues for decision are the correctness of the respondent's action (1) in determining that Charles J. Ginsberg's distributive shares of net income from Nash Miami Motors, a partnership, as reported in his income tax returns for 1946 and 1947 were understated because they did not reflect part of the sales of used automobiles made by the partnership and which the partnership failed to report in its partnership returns of income for its fiscal years ended May 31, 1946, and May 31, 1947; (2) in determining that during 1947 and 1948 Charles J. Ginsberg received from Nash Miami Motors, Inc., income taxable as dividends which he did not report in his income tax returns for those years; (3) in determining that Charles J. Ginsberg's distributive share of net income from Nash Miami Motors as reported in his income tax return for 1947 was understated because it reflected an adjustment to inventory made by the partnership during its fiscal year ended May 31, 1947; (4) in determining that Charles J. Ginsberg's distributive share of net income from Nash Miami Motors as reported in his income tax return for 1947 was understated because it reflected a deduction taken by the partnership in its return*136 of income for its fiscal year ended May 31, 1947, as a loss sustained on the sale of partnership real estate; (5) in determining that an amount of $20,000 paid by Nash Miami Motors, Inc., to Annette Ginsberg in 1948 was taxable as salary for that year; (6) in disallowing deductions taken by Charles J. Ginsberg for 1946 and 1947 for unreimbursed entertainment expenses of Nash Miami Motors and Nash Miami Motors, Inc., respectively; (7) in disallowing a deduction taken by Charles J. Ginsberg for 1947 for a casualty loss; and (8) in determining additions to tax for 1946, 1947 and 1948 under section 293(b) of the Internal Revenue Code of 1939 on account of fraud. Other issues presented by the pleadings which involve the respondent's disallowance of deductions taken by Charles J. Ginsberg for contributions and taxes for 1946, 1947 and 1948 and for medical expenses for 1946 and 1947 have been disposed of by stipulation of the parties.

General Findings of Fact

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

Charles J. Ginsberg died testate on September 22, 1948. In his will, Charles named his brother, Sydney Ginsberg, as executor. On December 15, 1948, Letters Testamentary*137 were issued by the County Judge's Court in and for Dade County, Florida, appointing Sydney executor of the estate of Charles. Sydney continued to serve as executor until or about April 18, 1957, when he resigned and Burton Ginsberg and Harry Steinberg were appointed co-executors.

During 1946, 1947, and 1948, Charles and his wife, Annette, were residents of Miami Beach, Florida. For the years 1946 and 1947, Charles filed individual income tax returns with the collector for the district of Florida. For 1948, Sydney, as executor of the estate of Charles, and Annette filed a joint income tax return with the collector for the district of Florida, entitled "Charles and Annette Ginsberg (Charles deceased 9/22/48)."

During 1946, 1947, and 1948, Charles and Annette had the following children who were of the indicated ages in 1957:

Name

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Estate of Ginsberg v. Commissioner, 1958 T.C. Memo. 95, 17 T.C.M. 472, 1958 Tax Ct. Memo LEXIS 134 (tax 1958).

1958 T.C. Memo. 95 (Estate of Ginsberg v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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