Gokey Properties, Inc. v. Commissioner

34 T.C. 829, 1960 U.S. Tax Ct. LEXIS 95
CourtUnited States Tax Court
DecidedAugust 12, 1960
DocketDocket No. 65577
StatusPublished
Cited by11 cases

This text of 34 T.C. 829 (Gokey Properties, 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
Gokey Properties, Inc. v. Commissioner, 34 T.C. 829, 1960 U.S. Tax Ct. LEXIS 95 (tax 1960).

Opinion

Bruce, Judge:

This proceeding involves deficiencies in income tax of the petitioner for the years and in the amounts as follows:

Year Deficiency
1952 _$8,394.86
1953 _ 8,190.70
1954 _ 7,546.00

The sole issue for decision is whether certain registered gold bonds issued by petitioner in 1938 constitute a genuine indebtedness, so that payments thereon are deductible as interest.

FINDINGS OF FACT.

The stipulated facts are so found and are incorporated herein by this reference.

The petitioner, a New York corporation with its principal office at 98 Westminster Drive, Jamestown, New York, was incorporated January 13, 1938, and continued in existence until its dissolution in 1955. Petitioner’s books were kept on the accrual basis and its income tax returns for the periods herein involved were filed with the collector or district director of internal revenue, Buffalo, New York.

The principal asset of the petitioner was a parcel of land together ■with buildings thereon, hereinafter sometimes referred to as Gokey Properties, which was bounded by West Third Street, Cherry Street, West Fourth Street, and Mechanics Alley in Jamestown, New York. The structures on this land were erected in 1910 and 1913 and the only business of the petitioner was the rental of this real estate. The property was sold in 1955 for $780,000 and the corporation was liquidated in 1955 following the sale.

Gokey Properties was originally owned by Noah Webster Gokey, who died in the year 1897 leaving two sons and one daughter. Upon his death the property was acquired by his two sons; William N. Gokey, Sr., acquired a five-eighths interest and George F. Gokey, Sr., acquired a three-eighths interest.

William N. Gokey, Sr., died in 1919 leaving five children — William N. Gokey, Jr., Mabel Merritt, Kuth Walters, Helen Dennigan, and Marvin Gokey — each of whom inherited a one-eighth interest subject to the life use of their mother, Harriet Gokey, who died on or about November 8, 1937. Marvin Gokey died June 23, 1930, leaving as his heir his son Robert.

Beginning in 1925 George F. Gokey, Sr., managed Gokey Properties as a partnership between himself and the heirs of his brother, William N. Gokey, Sr. George F. Gokey, Sr., died in April 1936, leaving a last will and testament by which his residuary estate, consisting principally of his three-eighths interest in Gokey Properties, was bequeathed and devised in trust for the support of his widow, Louise M. Gokey, during her lifetime, with distribution to and among his two sons, Noah Webster Gokey and George F. Gokey, Jr. Louise M. Gokey died in 1954. The interests of Noah Webster Gokey, George F. Gokey, Jr., and Louise M. Gokey were held in the name of the Estate of George F. Gokey, Sr., but were considered as being held individually, one-eighth by each of the three parties concerned.

Upon the death of George F. Gokey, Sr., William N. Gokey, Jr., the owner of an undivided one-eighth interest in Gokey Properties, assumed the management of the property on behalf of all the owners thereof. In August 1936 he was removed as manager by the other seven owmers, who thought that he was not properly handling the property or the receipts therefrom. William N. Gokey, Jr., had become indebted to the Bank of Jamestown in the sum of approximately $40,000, which was secured by a mortgage upon his interest in Gokey Properties. The bank commenced an action for the foreclosure of the mortgage in 1937 and a receiver was appointed in this foreclosure action.

The other seven owners of Gokey Properties, namely the three children (excluding William N. Gokey, Jr.) and the grandson of William N. Gokey, Sr., and the widow and two sons of George F. Gokey, Sr., fearing that such foreclosure or partition actions might be detrimental to their property interests, decided to buy the interest of William N. Gokey, Jr., and to incorporate their property holdings. After negotiation with the Bank of Jamestown, its interest was purchased for $32,597 and the interest of William N. Gokey, Jr., was purchased for $3,000 and the cancellation of claims which Gokey Properties held against liim.1 The sums necessary to make these purchases were secured by placing an additional mortgage on the property. William N. Gokey, Jr., and his wife deeded their interest in the property to the petitioner corporation on January 24, 1938, and the remaining seven owners of the property transferred their interests to the petitioner shortly thereafter.

The remaining seven owners of Gokey Properties organized petitioner corporation with an authorized capital of 140 shares of common stock without par value and in a transaction qualifying under section 112(b) (5) of the Internal Eevenue Code of 1939 the properties were transferred to the corporation in return for the stock and bonds having a face value of $400,000. Such bonds were unsecured. Each of the seven owners received 20 shares of common stock and a registered gold bond in the face amount of $50,000. Because of delays in securing the mortgage money, the purchase of the interest of William N. Gokey, Jr., had not been completed at the time of the transfer by the other owners of their property interests to petitioner. Accordingly, at the same time that the seven others received their stock and bonds, an additional bond in the face amount of $50,000 was issued in the name of William N. Gokey, Jr. As soon as the money was acquired from the additional mortgage, the bond issued to William N. Gokey, Jr., was returned by him and the sums which had been agreed upon as due to him and to the Bank of Jamestown were paid.

Since the inception of petitioner corporation the seven former owners and transferors of the Gokey Properties have been the stockholders and directors of petitioner.

The bonds issued by petitioner, each of which bore the title “Registered Gold Bond,” provided in pertinent part as follows:

GOKEY PROPERTIES, INC., for value received, hereby promises to pay to the registered holder hereof on the 1st day of February, 1963 at its office in the City of Jamestown, State of New York, Fifty thousand Dollars, in gold coin of the United States of America of or equal to the present standard of weight and fineness, and until payment of this bond at maturity, or its redemption as hereinafter provided, to pay at said office interest on said principal sum at such time or times as the Board of Directors of Gokey Properties, Inc., shall determine, and at such rate or in such amount as such Board of Directors shall in each instance specify, but not exceeding in any year the rate of seven per cent per annum.
This bond shall be registered upon the books of the Gokey Properties, Inc., and no transfer except upon such books shall be valid. No' transfer of any bond shall be valid unless made by the registered holder in person, or by his duly authorized attorney, giving the name of the transferee, together with his address, and such registration shall also be shown by an appropriate notation upon the bond.

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Gokey Properties, Inc. v. Commissioner
34 T.C. 829 (U.S. Tax Court, 1960)

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Bluebook (online)
34 T.C. 829, 1960 U.S. Tax Ct. LEXIS 95, Counsel Stack Legal Research, https://law.counselstack.com/opinion/gokey-properties-inc-v-commissioner-tax-1960.