Estate of Heckscher v. Commissioner

63 T.C. 485, 1975 U.S. Tax Ct. LEXIS 199
CourtUnited States Tax Court
DecidedJanuary 29, 1975
DocketDocket No. 6896-72
StatusPublished
Cited by45 cases

This text of 63 T.C. 485 (Estate of Heckscher 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 Heckscher v. Commissioner, 63 T.C. 485, 1975 U.S. Tax Ct. LEXIS 199 (tax 1975).

Opinion

Drennen, Judge:

Respondent determined a deficiency in the amount of $49,152.41 in petitioner’s estate tax and an addition to tax in the amount of $12,288.10 under section 6651(a), I.R.C. 1954. Following certain concessions by the parties, the issues remaining for decision are: (1) The value at the date of decedent’s death of 2,500 shares of stock of Anahma Realty Corp. which were properly included in decedent’s gross estate; and (2) whether attorney’s fees incurred by decedent’s wife in defending her claim to trust property appointed to her under decedent’s will are deductible by the estate as administrative expenses pursuant to section 2053, I.R.C. 1954.

FINDINGS OF FACT

Certain facts have been stipulated and are so found.

Petitioner is the Estate of Maurice Gustave Heckscher, Leo R. Best, administrator, c.t.a., with his principal place of residence at Palm Beach, Fla. An estate tax return for the estate was filed with the district director, Internal Revenue Service, Jacksonville, Fla., on June 12, 1969. The date of death of the decedent was June 11,1967.

Under an indenture dated May 13, 1929, between August Heckscher, father of decedent, and Farmers Loan & Trust Co., a corporation organized under the laws of the State of New York, the decedent’s father entered into a trust agreement whereby 2,500 shares of Anahma Realty Corp. (hereinafter Anahma) stock were held in trust for the decedent with a testamentary power of appointment. By his last will and testament the decedent appointed said property to his surviving spouse.

On the estate tax return of decedent the value of the 2,500 shares of Anahma stock was reported at $50 per share or an aggregate of $125,000.

Anahma is a holding company, incorporated under the laws of the State of New York on May 29, 1917, which owns listed and unlisted stocks, bonds, and a wholly owned subsidiary Hernasco, Inc. (hereinafter Hernasco). As of the date of death there were 108,675 shares outstanding of Anahma of which approximately 55 percent were controlled by the Heckscher Foundation for Children, a charitable organization founded by the decedent’s father.

Since 1952, Anahma’s principal business has been the holding of investments and through its subsidiary, Hernasco, undeveloped land in Florida.

Hernasco, at the time of decedent’s death, owned 28,604 acres of undeveloped land in Hernando and Pasco Counties in the State of Florida, which land had a fair market value of $300 per acre at that time or an aggregate value of $8,581,200. The parties agreed that for the purposes of this proceeding, the commissions and expenses that would be incurred in selling this land would amount to 10 percent of the gross sales price, or $858,120. This land had a cost basis to Hernasco of about $245,000. The remaining assets of Hernasco had a value at date of death of $3,556,841, consisting primarily of preferred stocks and a mortgage receivable.

On June 11, 1967, the fair market value of Anahma’s holdings of stocks and bonds, excluding Hernasco but including Madison Avenue Offices, Inc., another subsidiary, was $9,600,000. The net asset value of Hernasco as of the date of decedent’s death was $11,278,921. Accordingly, the total net asset value of Anahma as of June 11,1967, was $21,019,843.1

For each of the years 1957 through 1973 Anahma was a personal holding company as defined by section 542,1.R.C. 1954.

During the period that Anahma has been a personal holding company it has followed the practice of distributing as a dividend all of its personal holding company income as defined by section 543, I.R.C. 1954. During the years it was a personal holding company, Anahma did not make any capital gains distributions.

The following are the dividends paid per share by Anahma during the years 1962 through 1973:

1962 _ $2.37V2
1963 _ 2.43
1964 _ 2.42
1965 _ 2.64
1966 _ 2.90
1967 _ 3.55
1968. 3.65
1969. 3.77
1970. 4.85
1971. 5.50
1972. 5.00
1973. 5.00

The stipulated fair market value of the unimproved land held by Hernasco represented approximately 40 percent of Anahma’s total net assets.

Anahma’s five largest single blocks of freely traded common stocks, in terms of market value, were: Texaco, Inc., Eastman Kodak Co., Houston Natural Gas Corp., General Telephone & Electronics Corp., and Merck & Co. The market value of these common stocks as of the valuation date was approximately $2,214,000, representing approximately 25 percent of Anahma’s common stockholdings or 10 percent of Anahma’s total assets. The average yield of these common stocks was less than percent. The average yield of Anahma’s common stocks was 2.1 percent.

The following reflects Anahma’s pretax earnings from dividends and interest for the years 1965-67:

Year Pretax earnings
1965 _ $358,935
1966 _ 383,031
1967 _ 471,266

Based on Hernasco’s financial statements for the years 1965 through 1967, the following figures reflect Hernasco’s losses and pretax net profits (exclusive of land sale profits in 1965 ($41,695) and 1966 ($3,810,687.21)) for those years:

Pretax net profit Year (losses)
1965 _ ($9,406.27)
1966 _ 2,431.78
1967 _ 92,775.87

In about 1966, it became apparent to the directors of Anahma and Hernasco that, because of rising real estate taxes, it would be advisable to dispose of some of Hernasco’s unimproved and unproductive land. In 1966, Hernasco sold 18,837 acres of its undeveloped land in Hernando County, Fla., to Deltona Corp. at a price of $214 per acre and reported a profit on the sale of $3,810,687. It took a purchase-money mortgage on the land for most of the purchase price which bore interest at the rate of 7 percent per annum.

Hernasco paid no dividends for the years 1963,1964, and 1965. It paid dividends of $10,000 for 1966 and $70,000 for 1967 to its sole stockholder, Anahma.

On October 20, 1933, and incident to a divorce, decedent entered into a marital property settlement agreement with his prior wife, Luella Gear Heckscher (hereinafter Luella). As a part of such agreement, decedent agreed to exercise his power of appointment over the trust estate in favor of Luella to the extent of the unpaid balance of $100,000 obligation he assumed therein. Following decedent’s death, the Bank of New York, as successor trustee of the trust of Gustave M.

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Bluebook (online)
63 T.C. 485, 1975 U.S. Tax Ct. LEXIS 199, Counsel Stack Legal Research, https://law.counselstack.com/opinion/estate-of-heckscher-v-commissioner-tax-1975.