Gray v. Commissioner

1997 T.C. Memo. 67, 73 T.C.M. 1940, 1997 Tax Ct. Memo LEXIS 66
United States Tax Court·Decided February 5, 1997·No. Docket Nos. 18526-93, 18537-93, 18538-93.·Unpublished·Cited by 5 cases

Opinion

JEWELL E. GRAY, DONOR, DECEASED and ESTATE OF JEWELL E. GRAY, DECEASED, JEWELL MAE DETJEN, PERSONAL REPRESENTATIVE, ET AL., 1 Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Gray v. Commissioner
Docket Nos. 18526-93, 18537-93, 18538-93.
United States Tax Court
T.C. Memo 1997-67; 1997 Tax Ct. Memo LEXIS 66; 73 T.C.M. (CCH) 1940;
February 5, 1997, Filed

*66 Decision will be entered under Rule 155.

Daniel C. Johnson and Philip A. Diamond, for petitioner.
James F. *67 Kearney, for respondent.
COLVIN, Judge

COLVIN

MEMORANDUM FINDINGS OF FACT AND OPINION

COLVIN, Judge: Respondent determined a deficiency in petitioner's estate tax of $ 1,179,865. 2

After concessions, we must decide the following issues:

*68

1. Whether transfers totaling $ 1,724,198 from Beth W. Corp. to or on behalf of decedent are loans. We hold that the transfers are not loans and that petitioner may not deduct the transfers as a claim against the estate.

2. whether the value of the stock of Beth W. Corp. should be discounted because Beth W. Corp. will be liable for tax on a capital gain when and if it is paid for real property it sold to trusts established by decedent. We hold that the value of the stock should not be discounted.

3. whether the appropriate discount for lack of marketability for the stock of Beth W. Corp. is 40 percent, as petitioner contends; zero, as *69 respondent contends; or some other amount. We apply a 15-percent discount for lack of marketability.

Section references are to the Internal Revenue Code as in effect on the date of death of Jewell E. Gray (decedent). Rule references are to the Tax Court Rules of Practice and Procedure.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found.

A. Decedent and Decedent's Estate

Decedent, a resident of Broward County, Florida, died testate on August 30, 1989. In 1986, decedent owned all of the stock of Beth W. Corp. (described below at par. B-1). She established a revocable trust and irrevocable trusts # 1, # 2, and # 3 (described below at par. C) and transferred some of her stock to them before she died. Decedent was the president of Beth W. Corp. when she died.

Jewell Pollett (Pollett) is decedent's granddaughter. Pollett saw decedent about 3 times a week during the 10 years before decedent died. Pollett spoke with decedent on the telephone daily and did personal things for her such as pay some of her bills.

The Broward County Probate Court appointed First Union National Bank of Florida (First Union) to be the personal representative of decedent's estate*70 on January 5, 1990. First Union published a notice of administration to creditors and interested parties on January 12, 1990. Beth W. Corp. timely filed a claim for $ 1,711,321.72 with the Broward County Probate Court stating that decedent owed Beth W. Corp. that amount. First Union did not file an objection to this claim.

The most valuable asset in decedent's gross estate was Beth W. Corp. stock. Decedent owned 7,457 of the 9,040 shares through the revocable living trust when she died. The other shares were owned by two of the irrevocable trusts.

B. Beth W. Corp.'s Transfers to or on Behalf of Decedent

1. Beth W. Corp.

Beth W. Corp. was a personal holding company. Decedent owned 82.49 percent of the stock of Beth W. Corp. when she died. Beth W. Corp. has been a C corporation and used the accrual method of accounting since its inception. Decedent, as Beth W. Corp.'s president, made most of the business decisions on a day-to-day basis, and dealt with attorneys, bankers, and accountants.

Pollett was an officer of Beth W. Corp. from 1982 to the time of trial.

Beth W. Corp. reported the following on its corporate income tax return for fiscal year ending July 31, 1989: *71

Assets
Cash & marketable securities$ 80,664
Accounts receivable-trade0
Inventories0
Other current assets56,277
Total current assets136,941
Loans to shareholders1,878,187
Mortgages & R.E. loans2,265,000
Marketable securities645,187
Buildings & other depreciable assets0
Land (55.91 acres)0
Other assets119,048
Total Assets5,044,363
Liabilities
Notes payable0
Accounts payable10,905
Accrued expenses & other0

Free access — add to your briefcase to read the full text and ask questions with AI

Gray v. Commissioner, 1997 T.C. Memo. 67, 73 T.C.M. 1940, 1997 Tax Ct. Memo LEXIS 66 (tax 1997).

1997 T.C. Memo. 67 (Gray v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Estate of Jelke v. Commissioner
507 F.3d 1317 (Eleventh Circuit, 2007)
Estate of Rosen v. Comm'r
2006 T.C. Memo. 115 (U.S. Tax Court, 2006)
Estate of Jelke v. Comm'r
2005 T.C. Memo. 131 (U.S. Tax Court, 2005)
Eisenberg v. Commissioner
1997 T.C. Memo. 483 (U.S. Tax Court, 1997)