Estate of Goldenberg v. Commissioner

1964 T.C. Memo. 134, 23 T.C.M. 810, 1964 Tax Ct. Memo LEXIS 201
CourtUnited States Tax Court
DecidedMay 14, 1964
DocketDocket Nos. 78723-78726.
StatusUnpublished
Cited by4 cases

This text of 1964 T.C. Memo. 134 (Estate of Goldenberg 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 Goldenberg v. Commissioner, 1964 T.C. Memo. 134, 23 T.C.M. 810, 1964 Tax Ct. Memo LEXIS 201 (tax 1964).

Opinion

Estate of Sol Goldenberg, Deceased, Union Bank, Executor, and Anna Goldenberg, et al. 1 v. Commissioner.
Estate of Goldenberg v. Commissioner
Docket Nos. 78723-78726.
United States Tax Court
T.C. Memo 1964-134; 1964 Tax Ct. Memo LEXIS 201; 23 T.C.M. (CCH) 810; T.C.M. (RIA) 64134;
May 14, 1964
*201

The Goldenbergs transferred the stock of a corporation, the assets of a related partnership, and certain business real estate to the Foundation, a charitable organization. The Foundation liquidated the corporation and leased certain assets of the business (the real estate, the machinery and equipment of the corporation, and certain intangibles) for a term of 5 years to Products, a corporation formed to operate the business, in which two of the Goldenbergs held a large minority interest. Products was to pay 80 percent of its profits as "rent" to the Foundation, which was then to pass on 90 percent of those receipts to the Goldenbergs until the original purchase price was paid in full. After the expiration of the lease to Products, the Foundation leased substantially the same assets on similar terms successively to Camelback and Tread, new operating companies.

Held: (1) Under the doctrine of collateral estoppel, a decision of the Court of Claims in a prior proceeding involving installment payments received by the Goldenbergs in 1954 pursuant to their agreement with the Foundation conclusively establishes that they are entitled to capital gain treatment on the payments received by them *202 in 1955 and 1956 pursuant to the same agreement.

(2) "Rental" paid by Products disallowed in part because it was not paid for the use of the leased property. Fair rental value determined.

(3) Products was not engaged in a joint venture with the Foundation.

George T. Altman, 233 S. Beverly Drive, Beverly Hills, Calif., for the petitioners in Docket Nos. 78723 and 78726. Stanley C. Anderson and Seth M. Hufstedler for the petitioners in Docket Nos. 78724 and 78725. Karl M. Samuelian for the respondent.

TRAIN

Memorandum Findings of Fact and Opinion

TRAIN, Judge: Respondent determined deficiencies in petitioners' income and excess profits taxes for the years and in the amounts as follows:

YearTaxDeficiency
Estate of Sol Goldenberg, Deceased, Union Bank, Executor, and1955Income$ 37,112.96
Anna Goldenberg, Docket No. 787231956Income118,789.18
Jerome Goldenberg and Helena Goldenberg, Docket No. 787241955Income1,098.64
1956Income3,596.61
Ida Goldenberg, Docket No. 787251955Income34,454.36
1956Income123,661.28
FY endedTaxDeficiency
Golden West Rubber Products, Inc., Docket No. 7872610-31-52Income & Excess Profits$226,274.02
10-31-53Income & Excess Profits133,272.92
10-31-54Income & Excess Profits82,079.64
10-31-55Income108,055.31
10-31-56Income121,097.49

*203 The substantive issue presented in Docket Nos. 78723, 78724 and 78725 is whether certain payments received by the individual petitioners in 1955 and 1956 pursuant to an agreement with Loyola University Foundation represent proceeds from the sale of capital assets. Preliminary to the consideration of this issue is the question of whether a prior adjudication by the United States Court of Claims, involving payments received by the petitioners in 1954 pursuant to the same agreement, is conclusive of the issue here under the doctrine of collateral estoppel.

Certain minor issues in Docket No. 78725, relating to an additional personal exemption and deductions for medical expenses, have been settled by stipulation. Certain other issues were raised by the petitioners filed in Docket Nos. 78723 and 78725, but no evidence was presented on these issues at the trial, nor were they argued on brief, and bence they are deemed to have been abandoned.

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Related

Allen v. Commissioner
1975 T.C. Memo. 39 (U.S. Tax Court, 1975)
Sparks Nugget, Inc. v. Commissioner
1970 T.C. Memo. 74 (U.S. Tax Court, 1970)

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Bluebook (online)
1964 T.C. Memo. 134, 23 T.C.M. 810, 1964 Tax Ct. Memo LEXIS 201, Counsel Stack Legal Research, https://law.counselstack.com/opinion/estate-of-goldenberg-v-commissioner-tax-1964.