Guitar Trust Estate v. Commissioner

1 T.C.M. 312, 1942 Tax Ct. Memo LEXIS 6
CourtUnited States Tax Court
DecidedDecember 29, 1942
DocketDocket No. 107801.
StatusUnpublished

This text of 1 T.C.M. 312 (Guitar Trust Estate 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
Guitar Trust Estate v. Commissioner, 1 T.C.M. 312, 1942 Tax Ct. Memo LEXIS 6 (tax 1942).

Opinion

Guitar Trust Estate v. Commissioner.
Guitar Trust Estate v. Commissioner
Docket No. 107801.
United States Tax Court
1942 Tax Ct. Memo LEXIS 6; 1 T.C.M. (CCH) 312; T.C.M. (RIA) 42688;
12/29/1942
*6 Percy W. Phillips, Esq., 306 Southern Bldg., Washington, D.C., for the petitioner. D. D. Smith, Esq., for the respondent.

OPPER

Memorandum Findings of Fact and Opinion

OPPER, Judge: Petitioner in this proceeding challenges respondent's determination of deficiency in its income and excess-profits tax in the amounts of $10,618.61 and $8,936.40, respectively, for the year 1937. The principal question for determination is whether petitioner is taxable as an association or as a trust. If it is found to be the latter, there is a question of whether petitioner is a distributable or discretionary trust. Petitioner also contends that the principal issue is res judicata. Respondent on brief concedes that petitioner's delinquent filing of the capital stock tax return was effective to eliminate the excess-profits tax liability formerly asserted by respondent.

Findings of Fact

Petitioner during the years in question was engaged in business with its principal office at Abilene, Texas. A fiduciary income tax return and a capital stock tax return for the year 1937 were filed for petitioner with the collector of internal revenue in Dallas, Texas.

The trust instrument by which the petitioner*7 trust was created, was executed by John Guitar, Sr., and his wife, Laura O. Guitar, on December 30, 1921. Prior to the execution of the instrument John Guitar, Sr., and his wife accumulated considerable property which under the laws of Texas was owned jointly by the members of the marital community. John Guitar, Sr., was engaged in the cottonseed oil, cotton gin, ranch and farming business. As their eight children were all becoming grown the parents considered the best means of handling the property for their benefit. At first they considered dividing the property by deeding a special piece to each child, but later decided that this plan might be difficult to execute and put into effect. They finally decided that the best thing to do would be to deed the property to trustees who would carry on the business as it had been before and each child would have an equal interest in the property. The two oldest boys, John Guitar, Jr., and Repps B. Guitar, had been in business with their father for years, were grown men, and were acquainted with the business. It was determined by John Guitar, Sr., to make them trustees along with himself. John Guitar, Sr., personally drafted the instrument *8 without seeking advice of counsel. Prior to execution of the instrument the children were not advised regarding the intention of their parents, but immediately thereafter they were informed of its execution. The provisions of the trust instrument are set out in part at 25 B.T.A. 1216, 1217.

Some time after the instrument was executed the grantor duly executed a supplement thereto which appears at 25 B.T.A. 1218. That supplement purported to make mandatory the distribution of the annual trust income which under the original instrument had been discretionary with the trustees.

Under the original trust instrument the trust properties were allocated equally among the ten beneficiaries and the following entries were made on the books of the trust under date of December 31, 1921:

Jno Guitar Invested Capital, (Tr.)
$1,079,335.80
Jno. Guitar, Sr., Invested Capital$107,933.58
Mrs. Jno Guitar, Invested Capital107,933.58
Jno. Guitar, Jr., Invested Capital107,933.58
Repps B. Guitar, Invested Capital107,933.58
Earl B. Guitar, Invested Capital107,933.58
Mrs. Virginia Witherspoon, Invested
Capital107,933.58
Mrs. Laura O. Belcher, Invested Cap-
ital107,933.58
Miss Katherine Guitar, Invested
Capital107,933.58
Miss Mary Guitar, Invested Capital107,933.58
Miss Ruth Guitar, Invested Capital.107,933.58

*9 John Guitar, Sr., filed fiduciary returns of income for the Guitar Trust Estate for the years 1922 through 1926, taking deductions for the entire net income for those years as distributable to the beneficiaries and reported no tax due by the trust. On December 21, 1927, the Commissioner mailed a notice of income tax deficiency to the Guitar Trust Estate in the amount of $65,791.43 for the years 1922 through 1926, on the theory that the organization was an association taxable as a corporation. On February 16, 1928, the Guitar Trust Estate filed with the United States Board of Tax Appeals an appeal from the notice of deficiency (Docket No. 35102), and assigned as one of several errors the action of the Commissioner in determining the trust to be taxable as a corporation. The Board found and held that petitioner was not an association taxable as a corporation for any of the years 1923 through 1926, that for the year 1922 it was taxable as a discretionary trust, and that because of the supplemental agreement it was a distributable trust for the years 1923 through 1926 and had no taxable income.

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Related

Morrissey v. Commissioner
296 U.S. 344 (Supreme Court, 1935)
Blair v. Commissioner
300 U.S. 5 (Supreme Court, 1937)
Guitar Trust Estate v. Commissioner
25 B.T.A. 1213 (Board of Tax Appeals, 1932)
Pryor & Lockhart Development Co. v. Commissioner
34 B.T.A. 687 (Board of Tax Appeals, 1936)
Guitar Trust Estate v. Commissioner
34 B.T.A. 857 (Board of Tax Appeals, 1936)
Balzereit v. Commissioner
46 B.T.A. 959 (Board of Tax Appeals, 1942)
Living Funded Trust of Lyman ex rel. Lyman v. Commissioner
36 B.T.A. 161 (Board of Tax Appeals, 1937)

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Bluebook (online)
1 T.C.M. 312, 1942 Tax Ct. Memo LEXIS 6, Counsel Stack Legal Research, https://law.counselstack.com/opinion/guitar-trust-estate-v-commissioner-tax-1942.