General Ins. Agency, Inc. v. Commissioner

1967 T.C. Memo. 143, 26 T.C.M. 656, 1967 Tax Ct. Memo LEXIS 117
CourtUnited States Tax Court
DecidedJune 28, 1967
DocketDocket Nos. 4807-65, 5762-65.
StatusUnpublished
Cited by13 cases

This text of 1967 T.C. Memo. 143 (General Ins. Agency, Inc. 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
General Ins. Agency, Inc. v. Commissioner, 1967 T.C. Memo. 143, 26 T.C.M. 656, 1967 Tax Ct. Memo LEXIS 117 (tax 1967).

Opinion

General Insurance Agency, Inc. v. Commissioner. Helen R. Throckmorton v. Commissioner.
General Ins. Agency, Inc. v. Commissioner
Docket Nos. 4807-65, 5762-65.
United States Tax Court
T.C. Memo 1967-143; 1967 Tax Ct. Memo LEXIS 117; 26 T.C.M. (CCH) 656; T.C.M. (RIA) 67143;
June 28, 1967

*117 One of the assets of an insurance business being transferred in a sales transaction was a 5-year covenant not to compete against the selling corporation or an assignee entered into between the selling corporation and its directors. One of the directors was the sole stockholder of the selling corporation. This covenant was not bargained for separately and no value was specifically ascribed to it in the sales contract. Insurance expirations were the most valuable assets transferred by the sale.

Held: Although the agreement of purchase and sale was somewhat ambiguous, the covenant not to compete was at most only supplementary to the sale of an insurance business in a general sense. No portion of the purchase price is allocable to the covenant not to compete; the seller is entitled to overall capital gains treatment and the buyer is denied deductions for the amortizable cost of a covenant not to compete.

Held, further: The sole stockholder of the selling corporation, upon the corporation's liquidation, must recognize as income a proportionate part of each year's payments received under the agreement of purchase and sale which proportion is deemed in excess of her basis in the assigned*118 contractual right.

Louis H. Miller, Jr., 202 Mutual Bldg., Richmond, Va., for the petitioner in Docket No. 4807-65. Carl E. Davis and George R. Hinnant, for the petitioner in Docket No. 5762-65. Douglas O. Tice, Jr., for the respondent.

HOYT

Memorandum Findings of Fact and Opinion

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

Docket No.PetitionerYearDeficiency
4807-65General Insurance Agency, Inc.1960$1,167.51
19612,216.45
19622,117.41
5762-65Helen R. Throckmorton1960641.62
19611,261.53
19621,805.29

These cases were consolidated upon a motion by respondent and will be decided together. The following questions are presented for our decision:

(1) Whether payments by*119 General Insurance Agency, Inc., to R. W. Throckmorton, Inc., and Helen R. Throckmorton were for the insurance business of R. W. Throckmorton, Inc., generally, or for a covenant not to compete.

(2) If it is determined that the foregoing payments were not for a covenant not to compete, whether Helen R. Throckmorton is entitled to recover her basis in the sales contract before recognizing income attributable to the payments or whether she is required to include a proportionate part of each payment in income for the taxable years of receipt.

Findings of Fact

The stipulated facts which have been agreed to by all the parties are found accordingly and adopted as our findings.

Petitioners General Insurance Agency, Inc., hereinafter referred to as General, and Helen R. Throckmorton, hereinafter referred to as Helen, both filed Federal income tax returns for the calendar years 1960, 1961 and 1962 with the district director of internal revenue at Richmond, Virginia. General is a Virginia corporation engaged in a general insurance business with its principal office, at the time of filing the petition herein, in Richmond, Virginia. Helen was a resident of Richmond, Virginia, at the time*120 her petition was filed.

Helen's husband, R. W. Throckmorton, started an insurance agency in 1931. This business was incorporated in 1952 as R. W. Throckmorton, Incorporated, hereinafter referred to as Throckmorton, and dealt primarily with the sale of automobile, fire and casualty insurance from an office in Richmond, Virginia.

W. A. Spott, hereinafter referred to as Spott, was a nephew and an associate of Helen's husband in the insurance business for approximately 13 years until November 1, 1958. Spott was vice president and office manager of Throckmorton, but this relationship was terminated in 1958 when he went to work for General and he was serving as General's office manager at the time of trial.

After Spott left the employment of Throckmorton, Helen's husband became ill. A man named Nixon was hired to sell insurance for Throckmorton and to manage the office. Helen's husband died on December 8, 1959, and Nixon's employment with Throckmorton was terminated in February of 1960. Upon the death of her husband, Helen became the sole stockholder of Throckmorton. Almost immediately after R. W. Throckmorton's death, L. J. Duggan, president of General and a 50 percent stockholder*121

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Bluebook (online)
1967 T.C. Memo. 143, 26 T.C.M. 656, 1967 Tax Ct. Memo LEXIS 117, Counsel Stack Legal Research, https://law.counselstack.com/opinion/general-ins-agency-inc-v-commissioner-tax-1967.