Garrow v. Commissioner

43 T.C. 890, 1965 U.S. Tax Ct. LEXIS 110
CourtUnited States Tax Court
DecidedMarch 25, 1965
DocketDocket No. 4055-63
StatusPublished
Cited by5 cases

This text of 43 T.C. 890 (Garrow 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
Garrow v. Commissioner, 43 T.C. 890, 1965 U.S. Tax Ct. LEXIS 110 (tax 1965).

Opinion

OPINION

Ateins, Judge:

The respondent determined a deficiency in income tax for the taxable year 1961 in the amount of $6,427.35.

The issues presented are: (1) Whether the respondent’s allocation of the basis computed under section 334(c) of the Internal Eevenue Code of 1954 among the various assets (including notes and accounts receivable and a claim for income tax refund) received by the petitioner in liquidation of a corporation in proportion to the net fair market values of such assets was proper, and (2) whether the respondent properly treated gain on the collection of the notes receivable, the accounts receivable, and the income tax refund claim as ordinary income, rather than as capital gain.

The facts have been stipulated and the stipulations are incorporated herein by this reference.

Petitioners are husband and wife who reside in Antioch, Calif. They filed a joint Federal income tax return for the taxable year 1961 with the district director of internal revenue at San Francisco, Calif. The petitioner Eunice Garrow is a party only by reason of having filed a joint income tax return with the petitioner Ealph E. Garrow, who hereinafter will be referred to as the petitioner.

In 1961 petitioner owned all the outstanding stock (68 shares) of a California corporation which operated under the name of Diablo Development Co. (hereinafter referred to as Diablo). Diablo adopted a plan of complete liquidation providing for a distribution in complete cancellation or redemption of all of its stock and for the transfer of all its property under the liquidation entirely within the month of June 1961. As the sole shareholder in Diablo, petitioner elected to have the gain realized on the surrender of his stock recognized and taxed in accordance with section 333 of the Internal Eevenue Code of 1954. On June 8,1961, pursuant to section 333 of the Code, petitioner executed Form 964 entitled “Election of Shareholder Under Section 333 of the Internal Eevenue Code of 1954.”

The assets and liabilities received by the petitioner on the liquidation of Diablo, the adjusted bases to Diablo, and the fair market value of such assets, at the date of liquidation, were as follows:

Adjusted basis Fair market
Assets to Diablo value
Cash_ $2, 747. 65 $2, 747. 65
Notes receivable_ 9, 473. 16 1 9, 473. 16
Accounts receivable_ 10, 817. 40 1 10, 817. 40
Claims receivable (refund of Federal income tax)— 2, 310. 13 1 2, 310. 13
Loan trust fund receivable_ 283. 33 283. 33
Land_ 5, 518. 77 10, 000. 00
Equipment less depreciation- 553. 90 600. 00
Investment real estate:
11 lots Cavallo Rd. ext_ 1, 100. 00 15, 000. 00
Lot — 18th and Amber (SW)_ 1, 834. 67 13, 000. 00
4-pIex — Pittsburg depreciation_ 15, 035. 01 22, 500. 00
Lot NW Wilber_ 2, 512. 50 18, 000. 00
Lot SE Wilber_ 2, 512. 50 18, 000. 00
Stock — Garrow Land Co_ 2, 500. 00 6, 980. 00
Stock — R&B Land Co_ 2, 500. 00 4, 930. 00
59, 699. 02 134, 641. 67
Liabilities
Accrued interest_ 53. 60
Accounts payable_ 7, 587. 31
Mortgage payable_ 15, 133. 04
Long-term loan payable- 12, 190. 56
34, 964. 51

In return for such assets petitioner surrendered all of his stock having a basis to him of $6,800 and realized a gain in the amount of $92,877.16, computed as follows:

Fair market value of assets received-$134, 641.67
Less: Liability assumed_ 34, 964.51
99, 677.16
Less: Basis of 68 shares of stock canceled_ 6, 800. 00
Gain realized on liquidation_ 92, 877.16

During 1961 petitioner collected $8,047.80 of the notes receivable, $10,488.89 of the accounts receivable (the amount of notes and accounts receivable distributed has not been reduced by any charge to bad debts), and the total amount of the claim for refund of Federal income tax in the amount of $2,310.13.

On the date of the liquidation of Diablo such corporation had earnings and profits in the amount of $17,934.51.

In the 1961 income tax return petitioners reported no income on account of the $8,047.80 collected on the notes receivable, the $10,488.89 collected on the accounts receivable, and the $2,310.13 tax refund collected.

The respondent in the notice of deficiency for the taxable year 1961 determined that the petitioners were in receipt of ordinary income in the amount of $14,948 representing the excess of the amounts collected on the above three items over the bases of such items as determined by him. He determined the amount of the basis to be allocated to the property received on the liquidation in the following manner:

Basis of stock canceled_$6, 800. 00
Less: Cask received_ 2, 747.65
4, 052. 35
Plus: Gain recognized on tke liquidation_ 17, 934. 51
Plus: Unsecured liabilities assumed by petitioner Ralph R. Garrow_ 7, 587.31
Basis to be allocated among unencumbered assets_ 29, 574.17
Specific liens against assets received_ 27, 377.20
Total basis to be allocated_ 56, 951.37

Eespondent then made an allocation of such total basis to the assets received on liquidation as follows:

Basis allo-Eair Amount of Net fair cated with-Asset market value specific lien market value out regard to specific liens1 Total basis Notes receivable_ Accounts receivable_ Claims receivable. Loan trust fund receivable_ Land___ Equipment less depreciation. 11 lots — Cavallo__ Lot — 18th and Amber_ 4-Plex — Pittsburg_ Lot — NW Wilber. Lot — SE Wilber..

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Related

McCormac v. Commissioner
67 T.C. 955 (U.S. Tax Court, 1977)
Moss American, Inc. v. Commissioner
1974 T.C. Memo. 252 (U.S. Tax Court, 1974)
Garrow v. Commissioner
43 T.C. 890 (U.S. Tax Court, 1965)

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Bluebook (online)
43 T.C. 890, 1965 U.S. Tax Ct. LEXIS 110, Counsel Stack Legal Research, https://law.counselstack.com/opinion/garrow-v-commissioner-tax-1965.