Gottlieb v. Commissioner

12 T.C.M. 939, 1953 Tax Ct. Memo LEXIS 144
CourtUnited States Tax Court
DecidedAugust 19, 1953
DocketDocket No. 36062.
StatusUnpublished

This text of 12 T.C.M. 939 (Gottlieb 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
Gottlieb v. Commissioner, 12 T.C.M. 939, 1953 Tax Ct. Memo LEXIS 144 (tax 1953).

Opinion

Allen Sanford Gottlieb v. Commissioner.
Gottlieb v. Commissioner
Docket No. 36062.
United States Tax Court
1953 Tax Ct. Memo LEXIS 144; 12 T.C.M. (CCH) 939; T.C.M. (RIA) 53282;
August 19, 1953
*144

Petitioner's father gave money to petitioner's mother over a period of years. By 1945, over $40,000 of such funds were invested in petitioner's name by his father in a wholesale beer-distributing firm. Petitioner sold the wholesale firm in 1947 and bought a retail liquor store. Petitioner's father was convicted and sentenced in 1949 for fraudulent evasion of income tax for the years 1941 to 1945, inclusive. Deficiencies and 50 per cent additions to tax imposed by Sec. 293 (b) of the Code were determined by respondent against the father for the same years, and the parties stipulated the father was liable for the amounts so determined. In 1949, petitioner's father transferred to him his total interest in a retail liquor store, including a retail license which petitioner succeeded in having issued in his name. Respondent seeks to hold petitioner as transferee of his father's assets to the extent of the amount invested by petitioner in the retail liquor store in 1947 and the value of the retail liquor license transferred in 1949, alleged to be worth $5,000.

1. Held, petitioner is not liable as a transferee of funds with which he purchased the retail liquor store in 1947, since the funds *145 were, in fact, transferred to him in 1945 or earlier, and there is no showing of the transferor's insolvency at that time; nor that the transfer was made with intent to hinder, delay, or defraud creditors.

2. Held, further, petitioner is not liable as a transferee of the retail liquor license in 1949, since respondent failed to prove its value.

John L. Westmoreland, Esq., and Laird W. Shull, Esq., for the petitioner. Thomas C. Cravens, Jr., Esq., for the respondent.

RICE

Memorandum Findings of Fact and Opinion

This proceeding involves deficiencies in income tax and penalties asserted against Allen Sanford Gottlieb (hereinafter referred to as the petitioner) as transferee of the assets of his father, Samuel J. Gottlieb, as follows:

Calendar YearIncome Tax50% Penalty
1941$ 903.07$ 451.54
19424,446.782,223.39
1943 *41,569.4720,784.74
194434,478.0517,239.03
194516,515.478,257.74
$97,912.84$48,956.44

The issues raised by the pleadings are: (1) is petitioner liable as a transferee under section 311 of the Code for income tax deficiencies and additions to tax imposed by section 293 (b) of the Code to the extent of the value of such of his father's assets as were allegedly *146 transferred to him, either because such transfer resulted in the transferor's insolvency, or because such transfer was made with intent to hinder, delay, or defraud creditors under Georgia law; and (2) if so, is the collection of such deficiencies and penalties for all years barred by the statute of limitations; or, if barred for the years 1941 to 1943, inclusive, do the provisions of section 275 (c) of the Code permit assessment and collection of deficiencies and penalties for the years 1944 and 1945.

Some of the facts were stipulated.

Findings of Fact

The stipulated facts are so found and are incorporated herein.

Petitioner's father, Samuel J. Gottlieb (hereinafter referred to as Samuel), during the years here in question, resided at 1720 Rock Springs Road, N.E., Atlanta, Georgia, with his wife, Sadie K. Gottlieb (hereinafter sometimes referred to as Sadie). He filed individual Federal income tax returns for those years with the collector of internal revenue for the district of Georgia.

From 1939 until April 1949, Samuel owned and operated a retail liquor store, known generally as the Piedmont Liquor Store (hereinafter referred to as Piedmont) but sometimes as Sam's Liquor Store, *147 located in the Piedmont Hotel, at the corner of Forsyth and Luckie Streets, N.W., in Atlanta.

During the years here in question, Samuel gave various sums of money to Sadie, which he, however, thereafter used and invested as he chose. Sadie made deposits and withdrawals of such money from the bank and signed any documents necessary to its use as directed by Samuel. She had no knowledge of the details of any financial transactions in which her money was used.

On December 31, 1944, the books of the Royal Distributing Company of Columbus, Georgia, a wholesale beer-distributing company, showed debts owing to Mrs. Sadie K. Gottlieb in the amount of $43,383.50. The debts owing to her represented the amount invested in the firm to acquire petitioner's sole interest therein.

On August 10, 1945, Samuel filed Treasury Form 1632, applying for a wholesaler's permit under the Federal Alcohol Administration Act, in the name of Allen S. Gottlieb d/b/a Royal Distributing Company (hereinafter referred to as Royal). In answer to question 3C on such form, Samuel explained that he was managing petitioner's business interests, as attorney-in-fact, during the latter's service in the armed forces. In answer *148 to question 1D, Samuel stated that he had furnished petitioner the necessary funds to invest in the business.

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18 T.C. 874 (U.S. Tax Court, 1952)
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35 B.T.A. 84 (Board of Tax Appeals, 1936)

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12 T.C.M. 939, 1953 Tax Ct. Memo LEXIS 144, Counsel Stack Legal Research, https://law.counselstack.com/opinion/gottlieb-v-commissioner-tax-1953.