Finston v. Commissioner

1956 T.C. Memo. 202, 15 T.C.M. 1048, 1956 Tax Ct. Memo LEXIS 93, 6 Oil & Gas Rep. 546
CourtUnited States Tax Court
DecidedAugust 29, 1956
DocketDocket No. 55438.
StatusUnpublished

This text of 1956 T.C. Memo. 202 (Finston 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
Finston v. Commissioner, 1956 T.C. Memo. 202, 15 T.C.M. 1048, 1956 Tax Ct. Memo LEXIS 93, 6 Oil & Gas Rep. 546 (tax 1956).

Opinion

Arthur Finston and Renee Finston v. Commissioner.
Finston v. Commissioner
Docket No. 55438.
United States Tax Court
T.C. Memo 1956-202; 1956 Tax Ct. Memo LEXIS 93; 15 T.C.M. (CCH) 1048; T.C.M. (RIA) 56202; 6 Oil & Gas Rep. 546;
August 29, 1956
Donald P. Moyers, Esq., and John H. Conway, Jr., Esq., for the petitioners. J. C. Linge, Esq., for the respondent.

MULRONEY

Memorandum Findings of Fact and Opinion

The respondent determined a deficiency of $4,869.78 in petitioners' income tax for the year 1951. The sole issue is whether certain oil and gas royalties owned by the petitioners became worthless in the year 1951. A second issue involving a deduction for travel and entertainment has been settled by a stipulation of the two parties.

Findings of Fact

Arthur Finston and his wife, Renee Finston, have their principal place of business at Tulsa, Oklahoma. They filed a joint Federal income tax return for the year 1951 with the then collector of internal revenue for the district*95 of Oklahoma. Arthur Finston will hereinafter be called the petitioner.

Petitioner entered the oil business in 1939 and has remained in that business up to the present time, with the exception of a five year tour of duty with the United States Navy from 1941 to 1946. Petitioner is an independent oil producer and operator with experience in oil fields in Kansas, Illinois, Oklahoma, Texas and New Mexico. As a part of the normal activity of his business he has acquired leases and royalties and has participated in the drilling of wells. Petitioner is aided in his business operations by the services of consulting geologists and information gathered from various sources.

In 1947 the Sinclair Oil and Gas Company drilled the Williams well in NW/4 SW/4 of Section 18, Township 5N, Range 2W, McClain County, Oklahoma. This well went to a depth of 7,662 feet and no producing oil or gas formations were found. In 1949 the petitioner learned that Sinclair was preparing to deepen the Williams well and in that year he acquired 118.25 acres of oil and gas royalties in Township 5N, Ranges 2 and 3W, McClain County, in the immediate vicinity of the Williams well, at a total cost of $12,570.25. These*96 purchases were made as follows:

Petitioner's
DateLegal DescriptionTotalRoyaltyPetitioner's
PurchasedMcClain County, OklahomaAcresAcresCost
1. 9/30/49W/2 W/2 Section 6-5N-2W, and E/2 E/2 E/2
and W/2 SE/4 SE/4 Section 1-5N-3W26016.25$ 1,228.75
2. 9/23/49NE/4 NE/4 and N/2 NW/4 NE/4 Section
12-5N-3W6010.001,289.01
3. 9/12/49W/2 NW/4 Section 7-5N-2W807.50969.26
4. 9/ 8/49SE/4 Section 12-5N-3W, except W/2 NW/4
& 9/23/49SE/414029.502,581.14
5. 10/ 1/49E/2 NE/4 and N/2 NE/4 SE/4 Section
13-5N-3W12012.501,598.77
6. 9/29/49N/2 NW/4 and NW/4 NE/4 and NW/4 SW/4
NE/4 Section 18-5N-2W1305.00522.60
7. 9/ 9/49SW/4 SE/4 Section 13-5N-3W4010.00777.40
8. 9/23/49
& 9/29/49NE/4 and NE/4 NW/4 Section 24-5N-3W20020.002,441.13
9. 9/12/49NW/4 NW/4 Section 19-5N-2W407.501,162.19
Total1,070118.25$12,570.25
In September 1949 the Sinclair Oil and Gas Company renewed drilling operations at the Williams well and went to a depth of 9,458 feet. Production was obtained from the well and such production continued throughout 1950.

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323 U.S. 44 (Supreme Court, 1944)
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Bluebook (online)
1956 T.C. Memo. 202, 15 T.C.M. 1048, 1956 Tax Ct. Memo LEXIS 93, 6 Oil & Gas Rep. 546, Counsel Stack Legal Research, https://law.counselstack.com/opinion/finston-v-commissioner-tax-1956.