Estate of Kuntz v. Commissioner

1960 T.C. Memo. 247, 19 T.C.M. 1379, 1960 Tax Ct. Memo LEXIS 43
CourtUnited States Tax Court
DecidedNovember 22, 1960
DocketDocket No. 77207.
StatusUnpublished

This text of 1960 T.C. Memo. 247 (Estate of Kuntz 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 Kuntz v. Commissioner, 1960 T.C. Memo. 247, 19 T.C.M. 1379, 1960 Tax Ct. Memo LEXIS 43 (tax 1960).

Opinion

Estate of Martin Kuntz, Sr., Deceased, Isabelle M. Kuntz, Executrix, and Isabelle M. Kuntz, Individually, Surviving Wife v. Commissioner.
Estate of Kuntz v. Commissioner
Docket No. 77207.
United States Tax Court
T.C. Memo 1960-247; 1960 Tax Ct. Memo LEXIS 43; 19 T.C.M. (CCH) 1379; T.C.M. (RIA) 60247;
November 22, 1960

*43 Held: That the amount of $42,000 in issue (out of a total of $47,000, $5,000 of which is not in issue, section 101(b), I.R.C. 1954) paid to a widow by a corporation of which her deceased husband had been an officer was not intended as a "gift" excludible from gross income under section 102, I.R.C. 1954. Estate of Mervin G. Pierpont, Deceased, et al., 35 T.C. -, (filed October 19, 1960), followed.

Harry L. Lawner, Esq., Hulman Building, Dayton, Ohio for the petitioners. James C. Bright, Esq., for the respondent.

FISHER

Memorandum Findings of Fact and Opinion

FISHER, Judge: This proceeding involves a*44 deficiency in income tax of the petitioners determined by respondent as follows:

YearTaxDeficiency
1955Income$13,189.11

The only issue is whether certain payments to a widow by a corporation in recognition of services by her deceased husband, who had been an officer of said corporation, were excludible from gross income as a gift under section 102.

Findings of Fact

The petitioners are the Estate of Martin Kuntz, Sr., Deceased, Isabelle M. Kuntz, Executrix, and Isabelle M. Kuntz, Individually, Surviving Wife. The petitioner, Isabelle M. Kuntz, and Isabel M. Kuntz are one and the same person.

The petitioners filed a joint income tax return for the year 1955 with the district director of internal revenue, Cincinnati, Ohio. The petitioners' taxable year for 1955 is the 1955 calendar year.

Isabelle M. Kuntz was the executrix of the Estate of Martin Kuntz, Sr. Martin Kuntz, Sr. died January 3, 1955, leaving Isabel M. Kuntz as surviving spouse.

At the time of his death, Martin Kuntz, Sr., was president of The Peter Kuntz Company, Dayton, Ohio. He had been employed by The Peter Kuntz Company for 42 years, his entire working life. He served The Peter*45 Kuntz Company as president from August 5, 1954 until his death. Prior to becoming president, he held the position of vice president and secretary of The Peter Kuntz Company for several years. From 1951 until his death, he received an annual salary of $42,000. His salary was not increased when he became president of The Peter Kuntz Company.

In the calendar year 1955, Isabel M. Kuntz received payments in the sum of $47,000 from The Peter Kuntz Company. The payments to her by The Peter Kuntz Company were made pursuant to two resolutions of its board of directors, passed at a special meeting held January 7, 1955.

The first resolution which authorized payments to Isabel M. Kuntz in the sum of $42,000 was as follows:

It was moved by Elizabeth K. Wickham, seconded by John J. Kuntz, and upon vote unanimously passed, that because of Martin C. Kuntz, Sr.'s service of forty-two (42) years to The Peter Kuntz Company, in an executive capacity, as outlined in the above Resolution, and because during this entire period until his death he devoted all of his time, skill and knowledge to the welfare of this corporation; it is to the best interests, and benefit of the corporation to pay to Isabel*46 M. Kuntz, the widow of Martin C. Kuntz, Sr., deceased, the sum of $42,000.00 which was the amount of his yearly salary for 1954, payable in twenty-four semi-monthly installments beginning January 15, 1955. This payment is made as additional compensation and in consideration of services heretofore rendered to this corporation by the late Martin C. Kuntz, Sr., as hereinbefore stated. [Italics supplied.]

The second resolution which authorized a payment of $5,000 to Isabel M. Kuntz was as follows:

It was moved, by Grace K. Graves, seconded by Mary K. McLean, and unanimously passed, that Isabel M. Kuntz, the widow of Martin C. Kuntz, Sr., deceased, be paid the sum of $5,000 as employee benefit. This sum is not taxable to the recipient, because it is being paid in accordance with the 1954 Internal Revenue Code, Section 101(b).

The Peter Kuntz Company deducted from the $42,000 payments to Isabel M. Kuntz withholding taxes in the sum of $1,450.

No income tax was withheld by The Peter Kuntz Company from the $5,000 payment to Isabel M. Kuntz.

The Peter Kuntz Company deducted the $42,000 payments to Isabel M. Kuntz on its corporation income tax return as employee*47 salary expense.

During the 42 years that Martin Kuntz, Sr., was a valued officer and employee of The Peter Kuntz Company, that company prospered with its business increasing to a great extent.

The amount in issue totaling $42,000 paid to Isabel M.

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Related

Commissioner v. Duberstein
363 U.S. 278 (Supreme Court, 1960)
Reed v. United States
177 F. Supp. 205 (W.D. Kentucky, 1959)

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Bluebook (online)
1960 T.C. Memo. 247, 19 T.C.M. 1379, 1960 Tax Ct. Memo LEXIS 43, Counsel Stack Legal Research, https://law.counselstack.com/opinion/estate-of-kuntz-v-commissioner-tax-1960.