Gold Bond Ice Cream, Inc. v. Commissioner

1982 T.C. Memo. 54, 43 T.C.M. 458, 1982 Tax Ct. Memo LEXIS 689
United States Tax Court·Decided February 9, 1982·No. Docket Nos. 16578-79, 16579-79.·Unpublished

Opinion

GOLD BOND ICE CREAM OF FLORIDA, INC., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent; WESTERN LANES, INC., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Gold Bond Ice Cream, Inc. v. Commissioner
Docket Nos. 16578-79, 16579-79.
United States Tax Court
T.C. Memo 1982-54; 1982 Tax Ct. Memo LEXIS 689; 43 T.C.M. (CCH) 458; T.C.M. (RIA) 82054;
February 9, 1982.

*689 To determine whether the 80-percent test of sec. 1563(a)(2)(A), I.R.C. 1954, was satisfied, respondent included in his calculations the stock of a shareholder who did not own stock in all of the corporations in the alleged controlled group. Held, consideration of stock of one who does not own stock in each of the members of a group of corporations is improper for purposes of applying the 80-percent test of sec. 1563(a)(2)(A), I.R.C. 1954. United States v. Vogel Fertilizer Co., 455 U.S.     (Jan. 13, 1982), controls.

Robert E. Nelson,Brian R. Mudd and Michael D. Willis, for the petitioners.
Joseph R. Peters, for the respondent.

STERRETT

MEMORANDUM FINDINGS OF FACT AND OPINION

STERRETT, Judge: In these consolidated cases, respondent determined the following deficiencies in petitioners' Federal income taxes:

Taxable year
Docket No.Petitionerended June 30,Deficiency
16578-79Gold Bond Ice Cream1977$ 13,106.16
of Florida, Inc.197813,500.00
16579-79Western Lanes, Inc.197411,536.45
197613,057.95
19771,963.55
197817,345.13

The issues for decision are (1) whether petitioners were members of a controlled group of corporations, as that term is defined under section 1563(a)(2), I.R.C. 1954, during the taxable years in issue; and (2) whether Thomas J. Lutsey made a valid gift of 20 shares of Western Lanes, Inc. stock to his mother on July 12, 1977, or whether the gift was made when the stock certificates were issued to her by the corporation in February 1979. 1

*692 FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts and attached exhibits are incorporated herein by this reference.

Petitioner Western Lanes, Inc. (hereinafter Western Lanes) was incorporated under the laws of Wisconsin. At the time of filing the petition herein, its principal place of business was located in Green Bay, Wisconsin. It filed its Federal corporate income tax returns for its taxable years ended June 30, 1974, 1976, 1977 and 1978 with the Internal Revenue Service Center, Kansas City, Missouri.

Petitioner Gold Bond Ice Cream of Florida, Inc. (hereinafter Gold Bond of Florida) was incorporated on July 1, 1976 under the laws of Florida. At the time of filing the petition herein, its principal place of business was located in Ocala, Florida. It filed its Federal corporate income tax returns for its taxable years ended June 30, 1977 and June 30, 1978 with the Internal Revenue Service Center, Atlanta, Georgia.

On its corporate income tax return for the year ended June 30, 1974, Western Lanes utilized its entire $ 25,000 surtax exemption. On its returns for the years ended June 30, 1976, 1977 and 1978, Western Lanes*693 utilized surtax exemptions of $ 44,046.46, $ 49,064.65 and $ 50,000, respectively. On its corporate income tax returns for the years ended June 30, 1977 and June 30, 1978, Gold Bond of Florida utilized surtax exemptions of $ 48,485.20 and $ 50,000, respectively.

Assuming that a valid gift of 20 shares of Western Lanes stock was not made by Mr. Thomas J. Lutsey to his mother Evelyn Lutsey on July 12, 1977, the stock of the two petitioner corporations and of Gold Bond Ice Cream of Green Bay, Inc. (hereinafter Gold Bond of Green Bay) on June 30, 1976, 1977 and 1978 was held as follows:

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Gold Bond Ice Cream, Inc. v. Commissioner, 1982 T.C. Memo. 54, 43 T.C.M. 458, 1982 Tax Ct. Memo LEXIS 689 (tax 1982).

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