Granger v. Commissioner

1970 T.C. Memo. 155, 29 T.C.M. 667, 1970 Tax Ct. Memo LEXIS 206
CourtUnited States Tax Court
DecidedJune 15, 1970
DocketDocket No. 1327-67.
StatusUnpublished

This text of 1970 T.C. Memo. 155 (Granger 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
Granger v. Commissioner, 1970 T.C. Memo. 155, 29 T.C.M. 667, 1970 Tax Ct. Memo LEXIS 206 (tax 1970).

Opinion

Theodore A. Granger and Elizabeth T. Granger v. Commissioner.
Granger v. Commissioner
Docket No. 1327-67.
United States Tax Court
T.C. Memo 1970-155; 1970 Tax Ct. Memo LEXIS 206; 29 T.C.M. (CCH) 667; T.C.M. (RIA) 70155;
June 15, 1970, Filed
Theodore A. Granger and Elizabeth T. Granger, pro se, 2910 Dogwood Dr., Henderson, N. C. Ernest J. Wright, for the respondent.

KERN

Memorandum Findings of Fact and Opinion

Respondent determined deficiencies in petitioners' income taxes as follows:

Petitioner(s)YearAmount
Theodore A. Granger1958$ 123.04
Theodore A. Granger and Elizabeth T. Granger19591,732.00
Theodore A. Granger196117.00
Theodore A. Granger1962774.00
Theodore A. Granger1963972.50
Hereafter Theodore A. Granger will sometime be referred to as "petitioner."

To a considerable extent these deficiencies resulted from the decrease in the amount of net operating loss reported by petitioner in his 1960 Federal income tax return from $167,863.00 to $5,440.45 and the consequent disallowance of net operating loss carryback*208 deductions claimed for 1958 and 1959 and net operating loss carryover to 1961, 1962 and 1963. 668

In paragraph 4 of their petition, petitioners allege that the proposed deficiencies for 1958 and 1959 had been "paid and settled in full by Court Order." Since petitioners did not introduce any evidence on this point at the trial of this case and did not discuss this point on brief, it appears that petitioners have abandoned this claim.

The other issues raised by the pleadings are the following:

(1) Whether a reasonable expectation of recovery existed during 1960, 1961, 1962 and 1963, with respect to an insurance claim arising from the destruction by windstorm in February 1960, of a factory which petitioner was constructing. 1

(2) Whether petitioner's cost basis in a house he had under construction exceeded the amount of the proceeds realized in its 1960 foreclosure sale.

(3) Whether petitioner is entitled to interest expense deductions in 1960, 1961, 1962 and 1963 in excess of*209 the amounts allowed in the statutory notice of deficiency.

(4) Whether petitioner incurred certain travel and legal expenses in 1960, and, if so, in what amount.

(5) Whether the entire $3,000 paid to the petitioner during 1963 by Foundation Accounts, Inc. was taxable to petitioner in 1963 even though $600 thereof was attributable to services performed during 1964.

(6) Whether all or any part of the amounts mentioned in (5) above, was self-employment income.

Findings of Fact

Some of the facts and exhibits were stipulated and are found to be as stipulated.

Petitioner and Elizabeth T. Granger resided in Henderson, North Carolina at the time the petition was filed in this case. Petitioner filed individual Federal income tax returns for the taxable years 1958, 1960, 1961, 1962 and 1963 with the district director of internal revenue, Greensboro, North Carolina. Petitioner and Elizabeth T. Granger filed joint income tax returns for the taxable years 1957 and 1959 with the district director of internal revenue in that city.

On March 21, 1961, petitioners filed a From 1045, Application for Tentative Carry-back Adjustment, with the district director in Greensboro, claiming an overassessment*210 and overpayment of income tax for the taxable years 1957 and 1959 in the amounts of $233.00 and $1,732.00 respectively, resulting from the carryback of an alleged net operating loss incurred in the taxable year 1960. Petitioners did not claim a decrease in tax for 1958 when filing the Form 1045. 2 The district director allowed the tentative overassessments as claimed by petitioners for 1957 and 1959 and, in addition, he allowed an overassessment for 1958 in the amount of $123.04. Petitioner reported no taxable income for the taxable years 1961, 1962 and 1963 by virtue of the carryover of his alleged 1960 net operating loss.

Petitioner was awarded an A.B. degree by Harvard University in 1940. While at Harvard, his major courses of study were economics and engineering. He also took some courses in accounting and business administration.

In 1957, petitioner was employed as an accountant by Tungsten Mines, a concern operating near Henderson, North Carolina. *211 His responsibilities included looking after construction costs of a large construction program undertaken by the mining concern and reporting thereon to its management. During 1958, 1959 and 1960, petitioner was self-employed as a designer and builder of homes for sale.

During 1960, petitioner had at least three houses under construction, all of which became the subject matter of foreclosure proceedings instituted by the Citizens Bank & Trust Company, Henderson, North Carolina (hereinafter sometimes referred to as the "bank"). With respect to one of these houses, described as "Lot 24, Westover (Whiteoak) Drive, Granger Job #24" in a schedule set out below in these findings, petitioner borrowed from the bank three amounts at various times totaling $13,500.00 and paid interest with respect to these amounts until July 15, 1960. On October 24, 1960, the house was foreclosed upon by the bank and petitioner's total debt to the bank with respect to the house of $13,500.00 plus unpaid interest since July 15, 1960, 669 was cancelled.

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Bluebook (online)
1970 T.C. Memo. 155, 29 T.C.M. 667, 1970 Tax Ct. Memo LEXIS 206, Counsel Stack Legal Research, https://law.counselstack.com/opinion/granger-v-commissioner-tax-1970.