Estate of Raimondi v. Commissoner
This text of 1970 T.C. Memo. 25 (Estate of Raimondi v. Commissoner) 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.
Opinion
Memorandum Findings of Fact and Opinion
TIETJENS, Judge: The Commissioner determined a deficiency of $1,594.59 in the estate tax of Michelina Raimondi, deceased. We must decide whether the value of three remainder interests in certain real properties*337 are includable in the decedent's gross estate; and, if they are, we must decide what the values of those interests are. 71
Findings of Fact
Some of the facts have been stipulated and are so found. The stipulation and exhibits attached thereto are incorporated herein by this reference.
The petitioner, Katie Raimondi, Administratrix of the Estate of Michelina Raimondi, had her legal residence in Indianapolis, Indiana, at the time she filed the petition herein.
In 1951 Cosimo Raimondi, joined by his wife, Guiseppa Raimondi, conveyed by warranty deeds the following properties in Indianapolis to their daughters, Katie Raimondi, Anna Raimondi, and Michelina Raimondi, jointly and to the survivor or survivors of them, and not as tenants in common, reserving a life estate to himself and to his wife, Guiseppa Raimondi: 605 E. McCarty Street, 530-532 South Alabama Street, and 6654 W. Washington Street.
Guiseppa Raimondi died on November 1, 1960. Michelina Raimondi died on February 7, 1965, survived by her 82-year old father, Cosimo Raimondi, and by her sisters Katie Raimondi and Anna Raimondi.
Michelina Raimondi (the "decedent") owned at the time of her death the remainder*338 interests given her in 1951 in each of the three properties, which properties had fair market values at the time of her death as follows:
| Property | Fair Market Value |
| 605 E. McCarty St | $12,000 |
| 530-532 S. Alabama St | 5,000 |
| 6654 W. Washington St | 12,500 |
The petitioner elected to value the decedent's gross estate at the date of death. In the estate tax return no value representing these remainder interests was included in the gross estate. In his statutory notice of deficiency the Commissioner included in the gross estate $8,361.29 as the total value of decedent's interests in each of the three properties. This value was computed by including one-third of the fair market value of each of the three properties after reduction for the value of Cosimo Raimondi's life estate in each of the properties.
Opinion
*339
We have no doubt that the value of the remainder interests which the decedent held as a joint tenant are includable in her gross estate under any of
We are left to determine the value of these interests. Section 20.2031-7(d), Estate Tax Regs., provides that the present value of a remainder interest following a life estate is obtained by multiplying the value of the properties*340
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1970 T.C. Memo. 25, 29 T.C.M. 70, 1970 Tax Ct. Memo LEXIS 336, Counsel Stack Legal Research, https://law.counselstack.com/opinion/estate-of-raimondi-v-commissoner-tax-1970.