Findlay v. Commissioner

39 T.C. 580, 1962 U.S. Tax Ct. LEXIS 5
CourtUnited States Tax Court
DecidedDecember 27, 1962
DocketDocket Nos. 80418, 87262
StatusPublished
Cited by19 cases

This text of 39 T.C. 580 (Findlay 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
Findlay v. Commissioner, 39 T.C. 580, 1962 U.S. Tax Ct. LEXIS 5 (tax 1962).

Opinion

MtjlRONEy, Judge:

The respondent determined deficiencies in the petitioner’s income tax for the years 1953 through 1956 as follows:

Docket Ho. 87262
Year Deficiency
1953 -$6,744.05
1954 _ 6, 590. 52
1955 _ 22, 777.20
Docket No. S0418
Year Deficiency
1956 _$8, 384. 00

The issues in these consolidated cases are (1) whether the years 1953, 1954, and 1955 are barred by the statute of limitations; (2) whether a purported accord and satisfaction in 1957 prevents respondent from making further adjustments in petitioner’s income taxes in the years 1953, 1954, and 1955; (3) whether certain amounts received by petitioner in the years 1953, 1954, and 1955 constitute income in respect of a decedent within the meaning of sections 126 of the Internal Revenue Code of 1939 and 691 of the Internal Revenue Code of 1954, or whether such payments are testamentary bequests excludable from income; (4) whether the payments thus received by petitioner in 1955 should include the amount of $80,184.95 in addition to the $19,815.05 reported by the petitioner; (5) whether the taxation of these payments in the years 1953, 1954, and 1955 as income in respect of a decedent would be unconstitutional; (6) whether petitioner was entitled to a deduction in excess of that allowed by respondent for the estate tax applicable to the payments received by petitioner in the years 1953, 1954, and 1955; and (7) whether the payment received by petitioner in 1956 from Willis, Faber & Dumas, Ltd., was a gift.

By an amendment to his answer in Docket No. 80418 respondent claims (as an alternative to issue No. 4 above) an increase in the deficiency for 1956 “to allow the inclusion in income the amount of $30,184.95, which is the amount withheld by the executor of the estate of J. Wilfred Findlay and utilized by petitioner” in an agreement executed by her in 1956.

FINDINGS OF FACT.

Some of the facts were stipulated and they are herein included by this reference.

Helen Bich Findlay, hereinafter sometimes called the petitioner, is a resident of New York, N.Y. Petitioner filed her income tax returns for the years 1953 through 1956 with the district director of internal revenue, Manhattan District, New York, N.Y. During these years petitioner kept her books and prepared her returns on a cash basis.

Petitioner was 69 years old at the time of the trial. She married J. Wilfred Findlay in 1919 and remained married to him until 1948 when they were divorced. Findlay then married Lois Elliman. He died in 1951 and Lois subsequently married Irving S. Wright. For many years prior to his death in 1951, J. Wilfred Findlay solicited insurance business on behalf of Willis, Faber & Dumas, Ltd., insurance brokers and underwriters of London, England, for which he received commissions. He was also a member of a partnership in New York City that was engaged in the insurance business. On or about March 27,1936, J. Wilfred Findlay and Willis, Faber & Dumas, Ltd., entered into a commission agreement which provided in part as follows:

(a) In the event of my death (J. W. E.) commission to be applied to all business transacted in the current year in wbicb death occurred, and (b) for succeeding 5 years (c) thereafter commission to be 25% of existing commission, but limited to £1,500. (d) all payments to cease either on death of my wife (Mrs. E.) or 1955, whichever occurs first.

J. Wilfred Findlay died on May 31, 1951, a citizen of the United States and resident of New York, leaving a Last Will and Testament dated February 17, 1949, which was duly admitted to probate in the Surrogate’s Court of the County and State of New York. The will provided, in part, as follows:

Thikd : All of the commissions and other payments payable to my Executor by Wiliis, Faber & Dumas, Ltd., of 54 Leadenhall Street, London, B.C. 3, England, pursuant to a memorandum dated the 27th day of March, 1936, and any subsequent memorandum or agreement hereinafter entered into regarding the payment of the same, I give, and bequeath as follows:
Fifty (50%) per cent thereof to my wife, Lois Elliman Findlay :
Fifty (50%) per cent thereof to my former wife, Helen Rich Findlay.
* * * * ❖ * *
Fourth : (a) All the rest, residue and remainder of my estate, real and personal, of whatsoever hind and wheresoever situate, of which I may die seized or possessed, and any property over which I shall have any power of disposition, I give, devise and bequeath to my wife, Lois Elliman Findlay.

An agreement dated May 6, 1952, was executed by petitioner, Lois E. Findlay, and tbe Schroder Trust Co. (a New York corporation), as executor of the will of J. Wilfred Findlay, under which the Schroder Trust Co. purported to assign the testator’s rights to commissions payable by Willis, Faber & Dumas, Ltd., to petitioner and Lois E. Findlay. The agreement provides, in part, as follows:

WHEREAS the said Testator under Article Third of said Last Will and Testament did bequeath all of the commissions and other payments payable to his executor, pursuant to a certain contract between himself and Willis, Faber & Dumas, Ltd. of No. 54 Leadenhall Street, London, E.O. 3, England unto the parties of the first part, share and share alike, a copy of which agreement is annexed hereto and made a part hereof; and
Whereas the parties are agreed that said bequest constitutes a specific, legacy of the testator’s rights under said contract and of the benefits therein provided, and the said party of the second part [Schroder Trust Co.] is therefore willing to assign unto the parties of the first part [Lois Elliman Findlay and Helen Rich Findlay], and the parties of the first part are willing to receive an assignment of the testator’s rights under said agreement in satisfaction of said bequest; * * *

On May 29,1952, a contract was executed by petitioner, Lois Elliman Findlay, the Schroder Trust Co., the Standyards Agency, Ltd. (London, England), the General Assets & Agency Co., Ltd. (London, England), and Willis, Faber & Dmnas, Ltd., under which the petitioner and Lois Elliman Findlay agreed to accept $150,000 each in settlement of the obligations of Willis, Faber & Dumas, Ltd., under the agreement of March 27,1936. Payment to each was to be made in two equal installments, one in 1952 and one in 1953 (but not later than May 31,1953). The contract of May 29,1952, recited that in view of certain ambiguities in the construction of the March 27, 1936, agreement and in view of uncertainties as to the future of said agreement, the parties of the May 29, 1952, contract “agreed upon the sum of Tíeree HtjNdeed ThousaNd DollaRS ($300,000) as the fair amount for which they are willing to settle and liquidate said indeterminate contract.”

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Findlay v. Commissioner
39 T.C. 580 (U.S. Tax Court, 1962)

Cite This Page — Counsel Stack

Bluebook (online)
39 T.C. 580, 1962 U.S. Tax Ct. LEXIS 5, Counsel Stack Legal Research, https://law.counselstack.com/opinion/findlay-v-commissioner-tax-1962.