Furstenberg v. Commissioner

83 T.C. No. 43, 83 T.C. 755, 1984 U.S. Tax Ct. LEXIS 12
CourtUnited States Tax Court
DecidedNovember 26, 1984
DocketDocket No. 19977-80
StatusPublished
Cited by10 cases

This text of 83 T.C. No. 43 (Furstenberg 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
Furstenberg v. Commissioner, 83 T.C. No. 43, 83 T.C. 755, 1984 U.S. Tax Ct. LEXIS 12 (tax 1984).

Opinion

Featherston, Judge:

Respondent determined deficiencies in petitioner’s Federal income taxes as set forth below:

Year Deficiency
1975 . $595,017
1976 . 1,476,718
1977 . 3,207,600

After concessions, the issues for decision are as follows:

(1) Whether petitioner’s loss of her U.S. citizenship on December 23, 1975, had as one of its principal purposes the avoidance of U.S. taxes within the meaning of section 877(a);1

(2) Whether, even if we find that petitioner had tax avoidance as one of her principal purposes in expatriating, the French Tax Treaty, rather than section 877, governs the taxation of petitioner’s capital gains and U.S.-source dividends and interest after the date of her expatriation; and

(3) In the alternative, for the year 1975, whether petitioner is taxable on distributions from two trusts at the graduated tax rates applicable to U.S. citizens, or at the lower flat French Tax Treaty rate of 15 percent. Resolution of this issue turns on: (a) Whether an accumulation distribution in the amount of $830,753.13 from the Testamentary Trust of petitioner’s mother, Sarah Campbell Blaffer, a complex trust, although actually distributed before petitioner’s expatriation, is includable in petitioner’s income for the period after she became a nonresident alien; 2 and (b) whether petitioner was in constructive receipt before December 23,1975, the date of her expatriation, of a distribution of distributable net income in the amount of $128,792.71 from the Cecil A. Blaffer Trust No. 1, a complex inter vivos trust.

FINDINGS OF FACT

At the time she filed her petition in this case, petitioner resided at 34 Boulevard d’ltalie, Monte Carlo, Monaco. During the years at issue, petitioner kept her books and records and filed her Federal income tax returns on a calendar year basis using the cash receipts and disbursements method of accounting under section 446(c)(1).

Petitioner’s Early Background

Petitioner was born on December 17, 1919, in Houston, TX. She is the daughter of Sarah Campbell Blaffer and Robert Lee Blaffer; her father was one of the founders of Humble Oil & Refining Co., the predecessor of Exxon Corp.

Petitioner’s formal education began at Kincaid, a day school in Houston. She then went to the Ethel Walker School in Connecticut. During World War II, petitioner attended a French school for girls in New York where instruction was exclusively in French. She later studied languages and art at the University of Mexico.

Because of the financial success of her father, petitioner’s family was able to travel a great deal. As a child, petitioner traveled extensively with her family, visiting Europe, and in particular, France.

Petitioner had a close relationship as a child with her governess, a Frenchwoman named "Suzanne Glemet,” described by petitioner as a "second mother.” She spent several summers in France at the family home of her governess in Charent, in the southwest part of France near Bordeaux.

Petitioner learned to speak French as her "first language,” i.e., before she learned to speak English. She is so fluent in French, in fact, that she is taken for a French person when she speaks. In addition to English and French, petitioner also speaks Spanish and German.

Petitioner’s Marriages to E.J. Hudson and Richard J. Sheridan

On August 7, 1945, petitioner married E.J. Hudson (Hudson), a petroleum engineer. Petitioner and Hudson had two sons, Edward Joseph Hudson, Jr. (Joe Hudson), born June 8, 1948, and Robert Lee Blaffer Hudson (Lee Hudson), born April 4, 1951.

The Hudsons resided in Houston during their marriage. They did, however, take many trips to Europe and spent extended periods of time there, particularly in France, with their children. On one occasion, the Hudsons rented a home near Paris, and on two other occasions, they rented a home in the south of France.

Petitioner’s sons were educated for the most part in the United States. Both children, however, attended school in Paris for 1 year and in the south of France for 1 year. Both of petitioner’s sons learned French as children, and both became fluent in that language.

During her marriage to Hudson, petitioner continued to travel as extensively as she had as a child. Her travel was "not always to his [Hudson’s] liking.” Petitioner was divorced from Hudson on March 14, 1963. After her divorce from Hudson, petitioner continued to travel frequently to Europe, including France and some of the other countries.

On January 25, 1968, petitioner married Richard M. Sheridan (Sheridan), an international executive of Mobil Oil Corp., in Tokyo, Japan. Petitioner resided with Sheridan in Tokyo from January 1968 to June 1968; they moved to London in September 1968. When she moved to London, petitioner moved her china, silver, and heirlooms there from Houston.

As of the time of their move to London, Sheridan would have been eligible for retirement from Mobil in approximately 8 or 9 years. Petitioner owned some real estate in the south of France;3 she discussed with Sheridan the possibility of their settling there permanently after his retirement. Initially, Sheridan agreed to such a plan, but during the course of their marriage, he changed his mind. Petitioner separated from Sheridan in the summer of 1970, and was divorced from him on November 29, 1971.

Petitioner’s Move to Paris

In August 1969, petitioner obtained an option for the purchase of an apartment in a building to be constructed at 33 Avenue Foch in Paris; she purchased the apartment in January 1970. When construction of the apartment was completed, petitioner moved in, taking her personal belongings from London. It is stipulated that petitioner was a resident of France from 1970 through 1977, the last year here in controversy.

Petitioner’s apartment in Paris was staffed by domestic help who kept the apartment open regardless of whether petitioner was staying there or traveling. Petitioner kept an automobile in Paris and maintained a bank account there; she subscribed to a French newspaper. She attended the Anglican Church located on Avenue George V. Petitioner was a resident member, during the years at issue, of the Polo Club in Paris and was also a Paris resident member of Le Cercle du 33 Avenue Foch, another social club.

By this time in her life, petitioner had a great many friends in France and other European countries; indeed, the majority of her close friends were in Europe. While living in Paris, petitioner pursued her interest in the art world, visiting many museums and attending art exhibits, openings, and auctions, both in Paris and elsewhere in Europe.4 She attended music festivals in Bayreuth and Munich in West Germany; in Salzburg and Vienna in Austria; and in the south of France and Italy.

Petitioner’s Marriage to Prince Tassilo von Furstenberg

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Bluebook (online)
83 T.C. No. 43, 83 T.C. 755, 1984 U.S. Tax Ct. LEXIS 12, Counsel Stack Legal Research, https://law.counselstack.com/opinion/furstenberg-v-commissioner-tax-1984.