Estate of Thompson v. Comm'r

2002 T.C. Memo. 246, 84 T.C.M. 374, 2002 Tax Ct. Memo LEXIS 254
CourtUnited States Tax Court
DecidedSeptember 26, 2002
DocketNo. 7578-99
StatusUnpublished
Cited by8 cases

This text of 2002 T.C. Memo. 246 (Estate of Thompson v. Comm'r) 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 Thompson v. Comm'r, 2002 T.C. Memo. 246, 84 T.C.M. 374, 2002 Tax Ct. Memo LEXIS 254 (tax 2002).

Opinion

ESTATE OF THEODORE R. THOMPSON, DECEASED, BETSY T. TURNER, EXECUTRIX, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Estate of Thompson v. Comm'r
No. 7578-99
United States Tax Court
T.C. Memo 2002-246; 2002 Tax Ct. Memo LEXIS 254; 84 T.C.M. (CCH) 374; T.C.M. (RIA) 54890;
September 26, 2002, Filed

*254 Findings of fact and conclusions of law. Decision will be entered in favor of the Government.

Victor F. Keen and Thomas W. Ostrander, for petitioner.
Joseph M. Abele, Joellyn R. Cattell, James C. Fee, Jr., and David A. Breen, for respondent.
Jacobs, Julian I.

JACOBS

MEMORANDUM FINDINGS OF FACT AND OPINION

JACOBS, Judge: Respondent determined a $ 707,054 deficiency in the Federal estate tax of the Estate of Theodore R. Thompson. Hereinafter, Theodore R. Thompson is referred to as decedent and his estate as decedent's estate.

After concessions by decedent's estate, the issue remaining for decision is whether decedent's gross estate includes (1) the value of interests in two family limited partnerships (namely, the Thompson Turner Family Limited Partnership (the Turner Partnership) and the Thompson Family Limited Partnership (the Thompson Partnership)), and in the respective corporate general partners of those partnerships that decedent possessed at death or transferred prior to death (and if so, the value of those interests), or (2) pursuant to section 2036(a), the value of the property which decedent transferred to the family limited partnerships and to the respective corporate general partners of those partnerships*255 (and if so, the value of such property).

All section references are to the Internal Revenue Code as amended and in effect as of the date of decedent's death, and all Rule references are to the Tax Court Rules of Practice and Procedure.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulations of facts and exhibits submitted therewith are incorporated herein by this reference.

I. Background

Decedent was a resident of the State of Delaware at the time of his death on May 15, 1995. Decedent's estate was administered in Delaware. Betsy Thompson Turner, decedent's daughter and executrix of his estate, resided in Kennett Square, Pennsylvania, when the petition in this case was filed.

A. Decedent and His Family

Decedent was born on January 7, 1898, in Kennett Square, Pennsylvania. In the 1920s, he attended college at Swarthmore College for 2 years. He left college to help his father start a family rose-growing business, Thompson Roses, in Kennett Square, Pennsylvania. After his father's death in 1924, decedent operated Thompson Roses with his brother, Howard.

Decedent and h is wife, Marian, had two children, *256 Betsy and Robert. Robert attended Penn State University and subsequently enlisted in the military for 3 years. Upon discharge from the military, he entered Cornell University, majoring in horticulture. Upon graduation from college, Robert began working at Thompson Roses.

In 1956, decedent gave his one-half interest in Thompson Roses to Robert and to Betsy's husband, George Turner. Decedent's brother continued to own the remaining half of the business.

Decedent retired from Thompson Roses in 1980. After decedent retired, he and Marian divided their time between a condominium at Cokesbury Village (a retirement community in Hockessin, Delaware) and a winter home in Naples, Florida. Decedent's retirement activities included golf, fishing, bridge, and woodworking.

Marian died in 1985, after which decedent moved into an assisted living facility at Cokesbury Village. Decedent resided in this facility until his death in 1995.

Robert retired from Thompson Roses in 1988 and moved to Colorado. George retired in 1991.

Betsy and George 1 had four children -- George Clayton, Jr. ("Clay"), William Joel ("Bill"), Phoebe, and Robert -- and five grandchildren. Robert had four children -- Amy, *257 Margaret, Theodore 2 Robert, and John -- and four grandchildren.

Decedent executed his will in 1979. The will, as subsequently amended by four codicils, provided for, among other things, specific bequests of $ 100,000 to Betsy and Robert, gifts in varying amounts to his grandchildren, and gifts of $ 10,000 to each of his great-grandchildren. The residue of*258 decedent's estate went into the 1969 trust. In 1991, decedent executed a durable power of attorney appointing Betsy and Robert as his attorneys in fact and granting them power to handle all of his financial affairs.

On March 17, 1993, decedent executed an amendment to the 1969 trust. As a consequence of this amendment, a new revocable trust (the 1993 trust) was created. The 1993 trust was funded with the assets of the 1969 trust. Betsy and Robert were the trustees of the 1993 trust. The assets (worth approximately $ 1.5 million) transferred to the 1993 trust consisted of securities and cash held in an account at Dean Witter Reynolds, Inc. (Dean Witter).

From 1989 to 1993, Virginia Newnam was the account executive of decedent's trust's holdings at Dean Witter. In 1993, Ms. Newnam changed her employment to Alex Brown, Inc., and the trust portfolio was then transferred to that brokerage firm.

Decedent received the income from the securities held in the 1993 trust. In addition, decedent received annual income of approximately $ 8,000 from Social Security and approximately $ 6,000 from annuities with Cigna Insurance Co. and Provident Mutual Life Insurance Co. Decedent had other assets,

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2002 T.C. Memo. 246, 84 T.C.M. 374, 2002 Tax Ct. Memo LEXIS 254, Counsel Stack Legal Research, https://law.counselstack.com/opinion/estate-of-thompson-v-commr-tax-2002.