Fowler v. Commissioner

1967 T.C. Memo. 36, 26 T.C.M. 175, 1967 Tax Ct. Memo LEXIS 222
United States Tax Court·Decided February 28, 1967·No. Docket Nos. 4226-64, 4398-64.·Unpublished·Cited by 3 cases

Opinion

Dixie Fowler, also known as Dixie Hassell v. Commissioner. John E. Fowler v. Commissioner.
Fowler v. Commissioner
Docket Nos. 4226-64, 4398-64.
United States Tax Court
T.C. Memo 1967-36; 1967 Tax Ct. Memo LEXIS 222; 26 T.C.M. (CCH) 175; T.C.M. (RIA) 67036;
February 28, 1967
Paul F. Loveridge, 4th Floor, United California Bank Bldg., 1010 N. Main St., P.O. Box 1495, Santa Ana, Calif., for the petitioner in docket No. 4226-64. Paul F. Marx, 2006 N. Broadway, Santa Ana, Calif., for the petitioner in docket No. 4398-64. Richard L. Fishman, *224 for the respondent.

FORRESTER

Memorandum Findings of Fact and Opinion

FORRESTER, Judge: Respondent determined deficiencies in petitioners' income taxes as follows:

Docket
PetitionerNo.YearDeficiency
John E. Fowler4398-641959$29,058.05
19605,179.05
Dixie Fowler4226-64195916,580.53
19604,153.00
19611,760.01
Respondent disallowed certain depreciation deductions in Docket No. 4398-64 in 1960, but the petitioner in that case, John E. Fowler, did not contest such disallowances, and we therefore assume he has conceded their correctness. Respondent disallowed certain deductions in Docket No. 4226-64 for reasonable additions to a reserve for bad debts in 1960 and 1961, but he has conceded on brief that the petitioner in that case, Dixie Fowler, is entitled to the deductions as claimed. As a result there is no longer any deficiency in Dixie's case for 1961. The cases were consolidated for trial and decision because they involved common questions of law and fact. The questions left for our consideration are:

1. Did the income of a retail house trailer business include amounts credited to dealer reserve accounts*225 by financial institutions upon the sale to them of conditional sales contracts executed by customers?

2. What portion of the income from the trailer business was community property of the petitioners?

Findings of Fact

Some of the facts have been stipulated and are so found.

John E. Fowler and Dixie Fowler resided in Orange County, California, and filed separate Federal income tax returns for the years in issue with the district director of internal revenue, Los Angeles, California.

Beginning in 1958 and throughout the years in issue John was in the business of selling house trailers as a sole proprietor. He had established the business with $19,048 which was his separate property. Most of his sales were on credit. The consummation of a credit sale involved several steps. John and his customer first agreed upon a "total cash price." This was the price that would have been payable had the customer paid cash. In part payment of the total cash price the customer made a down payment in cash or trade-in or both. To the remaining balance of the cash price was added the cost of insurance on the trailer for the payment period, any fees to be paid to public officials, and an additional*226 amount called the "finance charge" or "time-price differential." The sum of these items was referred to as "the contract balance." It was divided by the number of months over which payment was to be made to determine the amount of each monthly installment. John and the customer executed a conditional sales contract reflecting these computations.

John did not possess sufficient capital to extend the credit required for volume sales. As a result he followed the practice of selling customer contracts to various financial institutions. During the years in issue he dealt with three banks and two finance companies. In every case the financial institution computed the purchase price of the paper by subtracting from the face amount of the contract balance a charge for its services, which charge was always less than the amount of the finance charge (the "time price" differential). The financial institution credited the remainder of the finance charge to a dealer reserve account in John's name and paid the remainder of its purchase price for the paper to him in cash. A typical credit sale followed by a sale of the customer contract is represented by the following figures:

I. Sale of trailer: *227

Cash price$5,000
Accessories200
Sales tax208
1.Total cash price5,408
2.Total down payment

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Fowler v. Commissioner, 1967 T.C. Memo. 36, 26 T.C.M. 175, 1967 Tax Ct. Memo LEXIS 222 (tax 1967).

1967 T.C. Memo. 36 (Fowler v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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