Forrer v. Commissioner

1981 T.C. Memo. 418, 42 T.C.M. 613, 1981 Tax Ct. Memo LEXIS 321
CourtUnited States Tax Court
DecidedAugust 11, 1981
DocketDocket No. 8718-78.
StatusUnpublished

This text of 1981 T.C. Memo. 418 (Forrer 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
Forrer v. Commissioner, 1981 T.C. Memo. 418, 42 T.C.M. 613, 1981 Tax Ct. Memo LEXIS 321 (tax 1981).

Opinion

GORDON RANDOLPH FORRER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Forrer v. Commissioner
Docket No. 8718-78.
United States Tax Court
T.C. Memo 1981-418; 1981 Tax Ct. Memo LEXIS 321; 42 T.C.M. (CCH) 613; T.C.M. (RIA) 81418;
August 11, 1981.
Gordon Randolph Forrer, pro se.
William F. Garrow, for the respondent.

DAWSON

MEMORANDUM FINDINGS*325 OF FACT AND OPINION

DAWSON, Judge: Respondent determined deficiencies in petitioner's Federal income taxes for the calendar years 1973 and 1974 in the respective amounts of $ 20,200.60 and $ 18,242.70. The sole issue for decision is whether section 170(e)(1)(A)1 precludes a charitable contribution deduction and carryover claimed by petitioner for the donation of a royalty agreement to a qualified donee.

FINDINGS OF FACT

Virtually all of the fact have been stipulated and are found accordingly.

Petitioner resided in Northville, Michigan, at the time that he filed his petition in this case. He timely filed Federal income tax returns for the calendar years 1973 and 1974 with the office of the Internal Revenue Service at Detroit, Michigan. On Schedule A of his 1973 return he claimed a noncash deduction for the "transfer as donation to Johns Hopkins University [of] total interest in publishing contract valued at $ 77,350.00." Because of the percentage limitation of section 170(b)(1)(A), petitioner only deducted $ 40,349.80*326 of that amount on his 1973 return. Pursuant to section 170(d)(1)(A), he carried over the balance, or $ 37,000.20, to his 1974 return. Respondent disallowed the deduction and carryover under section 170(e)(1)(A). Petitioner disputed that disallowance and petitioned to this Court for a redetermination.

Petitioner is a physician and has been engaged in the practice of psychiatry for a number of years. In December 1968 he entered into a written agreement with Libra Publishers, Inc. of Long Island, New York ("Libra"). The agreement granted Libra the exclusive right to print, publish, and sell petitioner's book entitled Weaning and Human Development in exchange for the right to receive certain royalties. 2 The parties agree that this contract conveyed all of petitioner's literary property rights in his book.

On November 20, 1973, Libra, by written "endorsement," consented to petitioner's assignment of his rights in their agreement to "any institution of learning." A*327 few days thereafter, on November 23, 1973, petitioner wrote the following letter to the Johns Hopkins University:

I wish to offer the University a gift of all of the publication rights of a book of which I am the author. The value of the contract between myself and the publisher of "Weaning and Human Development" (Libra, 1969) has been appraised at $ 77,350.00. The anticipated income from royalties will be realized over the life of the original copyright and its renewal.

If you are interested in accepting this donation will you write me a letter stating this; identifying the gift as a donation of all rights without reservation or remuneration to the donor, Gordon R. Forrer, M.D., in a contract between himself and Libra Publishers for the publication of "Weaning and Human Development" having an appraised value of $ 77,350.00 including royalties payable January 1, 1974.

Upon receipt of the contract properly transferred to the University I shall require a written receipt defining the donation in the same terms provided in your letter of acceptance.

I should appreciate prompt consideration of this offer and your reply since I wish to conclude transfer of this property within*328 the next few weeks.

By letter dated November 27, 1973, Johns Hopkins accepted the offer. Three days later petitioner executed an assignment of "his each and every right in a publishing contract * * * regarding his book." On the same date Libra "endorsed" the assignment and agreed to henceforth remit all royalties payable under the agreement to Johns Hopkins. Presumably the assignment and "endorsement" were then delivered to the University, which acknowledged the donation on December 28, 1973.

As stated above, petitioner claimed a noncash, charitable contribution deduction on Schedule A of his 1973 income tax return. In accordance with section 1.170A-1(a)(2)(ii), Income Tax Regs., he attached he his return a statement in support of the deduction claimed. 3 The statement described the donation as a contract for the "publication, sale and payment of royalties" in respect of his book and indicated that "no cost basis [was] applicable."

*329 OPINION

Under section 170(e)(1)4

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1981 T.C. Memo. 418, 42 T.C.M. 613, 1981 Tax Ct. Memo LEXIS 321, Counsel Stack Legal Research, https://law.counselstack.com/opinion/forrer-v-commissioner-tax-1981.