Fendell v. Commissioner

92 T.C. No. 39, 92 T.C. 708, 1989 U.S. Tax Ct. LEXIS 44
CourtUnited States Tax Court
DecidedMarch 30, 1989
DocketDocket No. 44947-86
StatusPublished
Cited by12 cases

This text of 92 T.C. No. 39 (Fendell 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
Fendell v. Commissioner, 92 T.C. No. 39, 92 T.C. 708, 1989 U.S. Tax Ct. LEXIS 44 (tax 1989).

Opinion

OPINION

Goffe, Judge:

The Commissioner determined deficiencies in petitioners’ Federal income taxes for the following taxable years:

Taxable year Deficiency
1975 . $27,887
1976 . 26,534
1977 . 8,393
19781. 2,282
1979 . 1,474

The issues for our decision are: (1) Whether respondent is barred by the statute of limitations from adjusting petitioners’ joint Federal income tax liabilities for the. taxable years 1975 and 1977 by virtue of the disallowance of losses claimed by a trust, which trust distributed income to petitioner-husband after the periods of limitation for each of the taxable years of the trust had expired; and (2) whether petitioners’ reported income from the trust for the taxable years 1976 and 1977 should be increased to reflect the disallowance of the trust’s losses from a partnership to the extent of the trust’s capital contributions to such partnership.

This case was submitted fully stipulated under Rule 122.2 The stipulation of facts and accompanying exhibits are incorporated by this reference.

Petitioners, Richard H. Fendell and Elizabeth A. Fendell, resided in St. Louis, Missouri, at the time of the filing of the petition in this case.

Richard H. Fendell (sometimes referred to as petitioner or petitioner-husband) and Nancy Fendell Lurie are the children of Charles H. Fendell and Minna Fendell. Charles H. Fendell passed away on January 19, 1958. Minna Fendell passed away on June 21, 1984.

The Last Will and Testament of Charles H. Fendell set up a testamentary trust consisting of the residue of his estate. The trust provided Minna Fendell with a right of encroachment and further provided for discretionary distributions for Richard H. Fendell and Nancy Fendell Lurie. Upon the death of Minna Fendell, the trust property was to be divided into separate trusts for Richard H. Fendell and Nancy Fendell Lurie. Separate Federal fiduciary income tax returns were filed for the taxable years in dispute under the names of: (1) “Richard H. Fendell Trust U/W Charles H. Fendell” (the Richard H. Fendell Trust); and (2) “Nancy Fendell Lurie Trust U/W Charles H. Fendell” (the Nancy Fendell Lurie Trust) but no Federal fiduciary income tax returns were filed in the name of the Minna Fendell Trust for the taxable years 1975 through 1979.

The Richard H. Fendell Trust (sometimes referred to as the trust) invested in two partnerships known as The Night Group and Forsyth Associates. On May 28, 1975, Minna Fendell executed a subscription agreement on behalf of the trust and the Nancy Fendell Lurie Trust to invest in The Night Group. In accordance with the subscription agreement, the trust made cash contributions to The Night Group of $10,000, $7,509.25, and $7,500 on April 25, 1975, January 21, 1976, and January 28, 1977, respectively.

Petitioners executed a Form 872, Consent Fixing Period of Limitations Upon Assessment of Tax for the taxable year 1975 (a Form 872 Consent), and a Form 872-A, Special Consent to Extend the Time to Assess Tax (a Form 872-A Consent), for the taxable years 1975, 1976, and 1977, with respect to petitioners’ joint Federal income tax returns. In addition, a Form 872-A Consent was executed with respect to the trust for the taxable years 1976 and 1978. Respondent did not secure either type of Consent with respect to the Minna Fendell Trust or the Richard H. Fendell Trust for the taxable year 1975 or 1977.

The trust, on its Federal fiduciary income tax return for the taxable year 1975 claimed losses from The Night Group and from Forsyth Associates in the amount of $27,315 and $2,006, respectively. The trust, on its Federal fiduciary income tax return for the taxable year 1976 claimed losses from The Night Group in the amount of $51,183 and from Forsyth Associates in the amount of $10,000. By amendment to the 1976 Federal fiduciary income tax return, the trust reduced the loss claimed from The Night Group from $51,183 to $25,592. On its return for the taxable year 1977, the trust claimed a loss from The Night Group in the amount of $14,740.

On their joint Federal income tax return for the taxable year 1975, petitioners reported a loss from the trust in the amount of $35,992. On their amended joint Federal income tax return for the taxable year 1976, petitioners reported income from the trust in the amount of $7,985 and on their return for the taxable year 1977 they reported income from the trust in the amount of $32,646.

The Commissioner disallowed losses claimed by the trust in The Night Group in the amount of $27,315 and Forsyth Associates in the amount of $2,006 thereby decreasing the loss which petitioners reported as attributable to the trust for the taxable year 1975 from $35,992 to $6,671. For the taxable year 1976, the Commissioner disallowed losses claimed by the trust in The Night Group in the amount of $25,592 and Forsyth Associates in the amount of $10,000 thereby increasing the amount of income which petitioners reported as receiving from the trust of $7,985 to $43,577. For the taxable year 1977, the Commissioner disallowed a loss taken by the trust in The Night Group in the amount of $14,748, thereby increasing the amount of income which petitioners reported as receiving from the trust of $32,646 to $47,394.

The first issue to be decided is whether the Commissioner is barred by virtue of the statute of limitations from adjusting the distributable loss (1975) and distributable income (1977) of petitioners which they reported from the trust by disallowing deductions claimed by the trust on its returns.

The trust claimed losses attributable to its investments in two partnerships, The Night Group and Forsyth Associates. After the respective periods of limitation on assessment expired with respect to the Federal fiduciary income tax returns of the trust, the Commissioner mailed a statutory notice of deficiency to petitioners in which he disallowed the losses claimed by the trust. This disallowance decreased the loss claimed by petitioner-husband in 1975 and increased the income taxable to petitioner-husband for 1977 as a beneficiary of the trust. Petitioners contend that the statute of limitations bars such adjustments to their returns.

The parties have brought no case to our attention nor have we found one that is squarely on point. Petitioners appear to base their position upon the Subchapter S Revision Act of 1982. That Act is not applicable to the taxable years prior to December 31, 1982, and, if applicable at all, would apply only by the analogy between a Subchapter S corporation and a trust. Subchapter S Revision Act of 1982, Pub. L. 97-354, 96 Stat. 1669, 1697.

Although the parties argue the analogy of a trust to a Subchapter S corporation, we find that the analogy of a trust to an estate to be more persuasive. In Haller v. Commissioner, 14 B.T.A. 488 (1928), we held that the filing of Federal fiduciary income tax returns of an estate did not commence the running of the period of limitation on assessment of income tax against a beneficiary of an estate who filed no returns.

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Fendell v. Commissioner
92 T.C. No. 39 (U.S. Tax Court, 1989)

Cite This Page — Counsel Stack

Bluebook (online)
92 T.C. No. 39, 92 T.C. 708, 1989 U.S. Tax Ct. LEXIS 44, Counsel Stack Legal Research, https://law.counselstack.com/opinion/fendell-v-commissioner-tax-1989.