Estate of Henry J. Mollenberg v. Commissioner

6 T.C.M. 1298, 1947 Tax Ct. Memo LEXIS 11
CourtUnited States Tax Court
DecidedDecember 23, 1947
DocketDocket No. 10610.
StatusUnpublished

This text of 6 T.C.M. 1298 (Estate of Henry J. Mollenberg 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 Henry J. Mollenberg v. Commissioner, 6 T.C.M. 1298, 1947 Tax Ct. Memo LEXIS 11 (tax 1947).

Opinion

Estate of Henry J. Mollenberg, Harold J. Mollenberg and Richard H. Mollenberg, Executors v. Commissioner.
Estate of Henry J. Mollenberg v. Commissioner
Docket No. 10610.
United States Tax Court
1947 Tax Ct. Memo LEXIS 11; 6 T.C.M. (CCH) 1298; T.C.M. (RIA) 47332;
December 23, 1947
Wentworth T. Durant, Esq., and John J. Flynn, Esq., 1414 Genesee Bldg., Buffalo 2, N.Y., for the petitioners. Harold D. Thomas, Esq., and J. Frost Walker, Jr., Esq., for the respondent.

LEMIRE

Memorandum Findings of Fact and Opinion

This proceeding involves a deficiency in estate tax of $28,931.66. The deficiency resulted in part from the inclusion in the gross estate of the value of property which was transferred by the decedent to a trust during his lifetime. The parties have stipulated that the value of the trust property was $87,920.64 at the date of death.

The sole issue is whether the Commissioner erred in determining that the value of*12 the trust property is includible in the gross estate under section 811(d) of the Internal Revenue Code.

Findings of Fact

The petitioners are the sons of the decedent and the executors under his will. He died a resident of Buffalo, New York, on July 11, 1943. He was survived by the petitioners and two daughters. The estate tax return was filed with the collector of internal revenue for the 28th district of New York.

In 1910 the decedent and Jacob Betz organized the Mollenberg-Betz Machine Co., Inc. (hereinafter called the Company), under the laws of New York. The Company issued 100 shares of common stock which were owned half by the Betz family and half by the decedent individually until 1935. The Company was engaged in the operation of a machine shop in Buffalo and it had an agency for the sale and installation of refrigeration equipment which was manufactured by another company. Betz and his son (who married one of the decedent's daughters) had charge of the machine shop. The decedent and his sons had charge of the refrigeration business.

The decedent was a self-made, practical man. He had not finished a public school education. When he started the refrigeration*13 business there was only one competitor in Buffalo. In 1930 there were ten or fifteen competitors. As competition increased more and more technical training was required by the salesmen of refrigeration equipment. Both of the decedent's sons were trained as engineers. They supplied the technical knowledge which was required in the business after 1930.

The decedent was president of the Company. His annual salary was $15,000 in 1919 through 1931, $11,600 in 1932 through 1934, $12,000 in 1935 through 1938, $10,500 in 1939, $10,000 in 1940, and $9,500 in 1941 through 1943.

Harold J. Mollenberg, the decedent's elder son, became associated with the Company in 1910. He was then attending high school and worked part time. During 1913 and 1914 he served a full time apprenticeship as a machinist for the Company. Then he attended college where he studied mechanical engineering. Since 1916 he has devoted his time exclusively to the Company's refrigeration business. In 1920 he had charge of the erection and installation of equipment and did all of the drafting work. About 1925 he became a salesman for the Company. He received an annual salary of $4,500 from 1920 to 1928, inclusive, $4,550 in*14 1939, $5,500 in 1940, $7,500 in 1941, and $10,500 in 1942 and 1943. He was married in 1926 and his living expenses increased thereafter. He became president of the Company upon the death of the decedent.

Richard H. Mollenberg, the younger son, became associated with the Company through part time work before he attended college. He received a college degree in mechanical engineering, having specialized in refrigeration. He began to work for the Company on a full time basis about January 1928. He is engaged in the sale, engineering, and installation of refrigeration equipment. In 1930 or 1931 he made a single sale which would have given him more money on a commission basis than he received as salary. At one time he had received an offer from a competitor, but he turned it down without discussing the amount of compensation which he might receive. He received an annual salary which varied from $1,437 in 1928 to $3,030 in 1936. His annual salary was $3,640 in 1937 and 1938, $3,690 in 1939, $4,640 in 1940, $7,100 in 1941 and $10,100 in 1942 and 1943. He became vice-president of the Company upon the death of the decedent.

The income, capital and surplus of the Company for the period 1930*15 through 1943 were as follows:

Capital and
YearIncomeSurplus
1930* $ 1,574.22$211,125.49
1931 5,944.23204,142.06
1932(15,044.62)189,639.76
19335,012.03(not shown)
1934 (8,417.49)188,532.09
1935(1,574.40)187,382.79
193624,571.54188,213.65
1937

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Related

Commissioner v. Estate of Holmes
326 U.S. 480 (Supreme Court, 1946)
Lea v. Commissioner
35 B.T.A. 243 (Board of Tax Appeals, 1937)

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Bluebook (online)
6 T.C.M. 1298, 1947 Tax Ct. Memo LEXIS 11, Counsel Stack Legal Research, https://law.counselstack.com/opinion/estate-of-henry-j-mollenberg-v-commissioner-tax-1947.