Griffin v. United States

42 F. Supp. 2d 700, 89 A.F.T.R.2d (RIA) 954, 1998 U.S. Dist. LEXIS 21551, 1998 WL 1018672
CourtDistrict Court, W.D. Texas
DecidedJune 2, 1998
Docket5:96-cv-00760
StatusPublished
Cited by11 cases

This text of 42 F. Supp. 2d 700 (Griffin v. United States) is published on Counsel Stack Legal Research, covering District Court, W.D. Texas primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Griffin v. United States, 42 F. Supp. 2d 700, 89 A.F.T.R.2d (RIA) 954, 1998 U.S. Dist. LEXIS 21551, 1998 WL 1018672 (W.D. Tex. 1998).

Opinion

FINDINGS OF FACT and CONCLUSIONS OF LAW

SPARKS, District Judge.

This is a tax refund case. The plaintiffs are claiming a refund of gift taxes made in calendar year 1993. In order to assess the amount of refund to which the plaintiffs may be entitled, the Court must determine the extent to which the plaintiffs have used their federal unified estate and gift tax credits. This inquiry entails a valuation of gifts the plaintiffs made to a trust in October 1991. The Court held a bench trial in this case on October 21, 1997, at which the plaintiffs Gordon M. Griffin, Jr. and Katherine C. Griffin appeared in person and by representation of counsel and the government appeared by representation of counsel. The Court, having considered the evidence presented at trial, the oral arguments and written briefs of counsel, and the applicable law, concludes that the plaintiffs are not entitled to a tax refund for the reasons set forth below.

I.

The relevant facts pertaining to the nature of the gift transfers are largely undisputed, and the testimony and exhibits establish the following sequence of events. The plaintiffs were married on February 2, 1990 after a relatively brief courtship. Prior to September 23, 1991, Gordon Griffin owned all 2,850 shares of a closely held corporation, Gordon M. Griffin, Inc. (“the corporation”). See P-2. The corporation owned 5,044.1 acres of ranch land in Bur-net County, Texas, United States Treasury bills in the amount of $250,000, and $3,334 in a checking account; the corporation had no liabilities. On September 23, 1991, Gordon Griffin irrevocably transferred 1,282.5 shares, representing a 45% interest in the corporation, to his wife Katherine Griffin. See P-3. Although the Griffins had no legal agreement regarding the future disposition of the shares, Gordon Griffin openly and repeatedly expressed to his wife, both before and after transferring the shares to her, that it was his hope and intention that she transfer her entire interest in the corporation to a to-be-formed trust. Less than a month later, on October 21, 1991, Gordon Griffin created a Trust for the benefit of the plaintiffs’ newborn son, Gordon M. Griffin, III, and any *702 future children. See P-4 (trust agreement). On October 23, 1991, Katherine Griffin transferred her entire 45% interest to the Trust, see P-5, and five days later, Gordon Griffin transferred 1,282.5 shares, representing another 45% interest of the corporation, to the Trust, see P-6. As of October 28, 1991, the Trust held a 90% interest in the corporation, and Gordon Griffin retained the remaining 10% interest. Under the terms of the Trust, Gordon Griffin remained president of the corporation; in addition, Gordon Griffin placed substantial limitations on the .ability of the trustee, a life-long friend, to remove him as president or to sell the assets of the Trust.

On March 10, 1992, each plaintiff filed a 1991 United States Gift and Generation Skipping Transfer Return (Form 709) (“Gift Tax Return”). See P-8 & G-29 (Gordon Griffin’s 1991 Gift Tax Return); P-9 & G-30 (Katherine Griffin’s 1991 Gift Tax Return). Gordon Griffin took a gift tax marital deduction for the gift to his wife, thereby paying no taxes on his initial transfer of the 45% interest in the corporation. See 26 U.S.C. § 2523 (West 1989) (providing an unlimited marital deduction for the value of gifts to spouses). Gordon Griffin and Katherine Griffin reported $477,965 and $476,965, respectively, as the fair market value of the gifts to the Trust. 1 The valuation of the gifts reflected (1) an appraisal of the ranch land of $300 per acre; and (2) a discount of 40% to reflect the minority interest and lack of marketability in the shares of a closely held corporation. 2 Since each plaintiff reported total taxable gifts amounting to less than the lifetime exemption of $600,000, neither paid any gift taxes. See 26 U.S.C. § 2502, 2505 (West 1989) (establishing a $600,000 federal gift tax lifetime exemption per individual).

In 1992, the Internal Revenue Service (“IRS”) audited the plaintiffs’ 1991 Gift Tax Return. On March 4, 1993, the IRS sent a notice to the plaintiffs of a proposed gift tax deficiency. The IRS determined that the value of the ranch land was $421 per acre and proposed a combined discount of 15% for minority interest and lack of marketability. See P-10 & P-11. The IRS assessed the taxable fair market values of $910,150 for Gordon Griffin’s gift to the Trust and $909,150 for Katherine Griffin’s gift to the Trust, triggering tax liabilities of approximately $118,000. On July 26, 1993, the plaintiffs filed amended gift tax returns for 1991. Gordon Griffin and Katherine Griffin reported $398,471 and $397,471, respectively, as the fair market values of the gifts, which reflected a value of the ranch land of $300 per acre and a combined discount of 50%. See P-15 & P-16.

On September 15, 1993, Katherine Griffin transferred by Warranty Deed a gift of a 25% undivided interest in 706.7 acres of land in Burnet County, Texas to the Trust; on September 20, 1993, Gordon Griffin transferred an equal amount of the same land to the Trust. See G-23 & G-25. On February 28, 1994, the Griffins filed their 1993 Gift Tax Returns, each reporting a taxable gift of $32,419 for the Warranty Deed transfers. See P-20 & P-21. Using the plaintiffs’ revised figures, the combined value of the 1991 and 1993 gifts was $430,-890 for Gordon Griffin and $429,890 for Katherine Griffin; the plaintiffs’ figures were insufficient to trigger the gift tax. In the meantime, the IRS reviewed the plaintiffs’ appeals of the 1991 gift tax deficiencies. James Christianson, an IRS appeals officer in the Mid-States Regional Appeals Division, valued the 1991 gifts at $594,250 for Gordon Griffin and $593,250 *703 for Katherine Griffin. These figures reflected a value of the ranch land of $323 per acre and a combined discount of 30%. See G-31 (government’s appraisal of the land by Capital Foresight, Inc.). On November 25, 1995, the IRS assessed gift tax deficiencies against Gordon Griffin in the amount of $9,868 and against Katherine Griffin in the amount of $9,498. See P-29 & P-30. On January 21, 1996, Gordon and Katherine Griffin paid their gift tax deficiencies. See P-31 & 32.

The plaintiffs filed this suit to recover the gift tax deficiency payments they made to the IRS in 1996. In determining whether the plaintiffs are entitled to a refund, the Court must resolve the larger issue of whether each plaintiff has surpassed the $600,000 lifetime exemption. The IRS does not challenge the plaintiffs’ valuation of the 1993 Warranty Deed gifts made to the Trust; therefore, the only issue before the Court is the proper valuation of the 1991 gift transfers of the shares of the corporation to the Trust.

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42 F. Supp. 2d 700, 89 A.F.T.R.2d (RIA) 954, 1998 U.S. Dist. LEXIS 21551, 1998 WL 1018672, Counsel Stack Legal Research, https://law.counselstack.com/opinion/griffin-v-united-states-txwd-1998.