Estate of Sullivan v. Commissioner

1993 T.C. Memo. 531, 66 T.C.M. 1329, 1993 Tax Ct. Memo LEXIS 542
United States Tax Court·Decided November 17, 1993·No. Docket No. 12084-91·Unpublished

Opinion

ESTATE OF VIRGIL C. SULLIVAN, DECEASED, JAMES W. PETER, PERSONAL REPRESENTATIVE, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Estate of Sullivan v. Commissioner
Docket No. 12084-91
United States Tax Court
T.C. Memo 1993-531; 1993 Tax Ct. Memo LEXIS 542; 66 T.C.M. (CCH) 1329;
November 17, 1993, Filed

*542 Decision will be entered under Rule 155.

For petitioner: Charles T. Parks, Jr., David J. Shannon, Richard C. Schmoker, and David R. Brennan.
For respondent: Genelle F. Forsberg.
GERBER

GERBER

MEMORANDUM FINDINGS OF FACT AND OPINION

GERBER, Judge: Respondent, by means of a statutory notice of deficiency, determined a $ 510,581 Federal estate tax deficiency. The issue for our consideration is whether within the meaning of section 2036(a) 1 Virgil C. Sullivan (decedent) retained the possession or enjoyment of, or the right to the income from, transferred trust assets. In resolving these questions we consider: (1) Whether decedent retained a right to use the income of the trust to discharge a legal obligation to support his wife, and (2) whether decedent retained an interest in the trust corpus.

FINDINGS OF FACT

*543 Some of the facts have been stipulated and the stipulation of facts and attached exhibits are incorporated by this reference.

Virgil C. Sullivan, a resident of the State of Minnesota, died on December 20, 1986, survived by his widow, Christine Sullivan (Christine), three sons from his prior marriage, and three grandchildren. At the time of his death decedent was 82 years of age and Christine was 79 years of age. James W. Peter, the personal representative of the Estate of Virgil C. Sullivan, resided in Minneapolis, Minnesota, at the time the petition in this case was filed.

Decedent's first wife had been sick for several years as a result of a long and debilitating illness. After his first wife's death, decedent and Christine were married. At the time of her marriage to decedent Christine was 60 years of age and had not previously been married. Christine has no children of her own and has little or no relationship with decedent's three sons, none of whom live in close proximity to her. Christine has two sisters who live in Washington State and several nieces and nephews who also live in the Western United States.

Decedent was a knowledgeable and successful investment counselor*544 having served as the chief financial officer of IDS and associated mutual funds from 1954 to 1960. Upon leaving IDS, decedent became a self-employed financial consultant, and among the clients to whom he provided investment advice were two wealthy and prominent families. In 1964, decedent became a special adviser to the World Bank. In addition to his private consulting practice, decedent served on the board of directors of various profit and nonprofit corporations.

During the entire duration of their marriage, decedent and Christine lived in a three-bedroom apartment in Minneapolis. The apartment rent for 1986 and 1987 was $ 14,520 and $ 14,650, respectively. For the period under consideration, decedent and Christine were members of a Minneapolis lunch and social club and a golf club. The lunch and social club expenses were predominantly for decedent's consulting business purposes. After decedent's death, Christine continued to reside in the same apartment, and she did not use the lunch and social club.

The joint living expenses of decedent and Christine for 1986 and the individual living expenses of Christine for 1987, excluding business expenses, estimated tax payment, *545 gifts to charities and family, and professional accounting and legal services, were:

19861987
ExpensesAmountAmount
Rent$ 14,520$ 14,650
Power and telephone1,3981,350
Housekeeper1,1461,100
Golf club8,9303,400
Grocery store3591,100
Clothes1,0601,000
Auto expense and insurance670--
Medical5,7221,100
Theatre115--
Repairs93--
Safe deposit25--
Miscellaneous624124
Property insurance128128
Umbrella insurance coverage143--
Cash5,800

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Estate of Sullivan v. Commissioner, 1993 T.C. Memo. 531, 66 T.C.M. 1329, 1993 Tax Ct. Memo LEXIS 542 (tax 1993).

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