Gumm v. Commissioner

93 T.C. No. 38, 93 T.C. 475, 1989 U.S. Tax Ct. LEXIS 132
CourtUnited States Tax Court
DecidedOctober 11, 1989
DocketDocket Nos. 12065-85, 12586-85
StatusPublished
Cited by53 cases

This text of 93 T.C. No. 38 (Gumm 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
Gumm v. Commissioner, 93 T.C. No. 38, 93 T.C. 475, 1989 U.S. Tax Ct. LEXIS 132 (tax 1989).

Opinion

SWIFT, Judge:

In separate notices of transferee liability, each dated February 15, 1985, respondent determined that petitioners were Hable as transferees for the Federal estate tax deficiency and. addition to tax determined against the estate of Martha O’Hair Kirsten (the estate) as foUows:

Addition to tax
Date of death Estate tax sec. 6651(a)(2)1
May 19, 1980 $9,018.27 $721.46

There is no dispute as to the HabiUty of the estate for the deficiency and addition to tax. The only issue for decision in these consohdated cases is whether petitioners are Hable therefor as transferees of the estate.

At trial, petitioner objected to the admission of an alleged copy of an unsigned transcript of a tape-recorded interview of Richard Z. Gumm, M.D. conducted by respondent. The alleged transcript was not adequately authenticated, and we sustain petitioners’ objection. Rule 1003, Fed. R. Evid.

FINDINGS OF FACT

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

At the time they filed their separate petitions, Nancy J. Gumm Errichetti (Nancy Gumm) resided in Scottsdale, Arizona, and Ellen Gumm Bailey resided in San Diego, California. Nancy Gumm did not appear at the trial of this case. Unless otherwise indicated, references to petitioner in the singular are to Ellen Gumm Bailey.

Decedent, Martha O’Hair Kirsten, died testate on May 19, 1980. At the time of death, decedent resided in Paris, Illinois. Decedent was survived by her spouse, Walter Kirsten, and her three children — Richard Z. Gumm, M.D. (Dr. Gumm), Nancy Gumm, and Ellen Gumm Bailey.

Under decedent’s will, a life estate in the family residence passed to decedent’s spouse, Walter Kirsten. The will also provided that the residue and remainder of decedent’s estate be divided and distributed equally to her three children. The will further provided that all estate and death taxes be paid out of the estate as an expense of administration without apportionment.

On July 16, 1980, decedent’s will was admitted to probate in the Fifth Judicial Circuit, Edgar County, Illinois. On the same day, the probate court appointed Dr. Gumm executor of decedent’s estate. At the time of trial, no accounting had been filed by the executor with the probate court.

On February 23, 1981, Dr. Gumm filed a Federal estate tax return on behalf of the estate. On the return, the estate’s net estate tax liability was reported as $101,451.54, which the estate paid on February 23, 1981.

On or about March 18, 1981, the executor presented a $9,807.95 check to the Treasurer of Edgar County, Illinois, in payment of Illinois death taxes due from the estate and credit with respect thereto was claimed on the Federal estate tax return. The check was dishonored when presented for payment by the County Treasurer.

On May 1, 1981, Dr. Gumm filed an amended Federal estate tax return on behalf of the estate. The amended return reflected a net estate tax liability of $93,850.90 — a reduction of $7,600.64 from the liability reported on the original return and an amended Illinois death tax liability of $9,018.27.

On or about September 14, 1981, respondent issued a refund check to the estate in the amount of $8,090.41. The refund consisted of the sum of the claimed overpayment in the amount of $7,600.64 and interest in the amount of $489.77. The Illinois death tax liability was never paid by the estate.

Transfers of Estate Property

Soon after decedent’s death and pursuant to the terms of decedent’s will, transfers or distributions of estate property were made to Dr. Gumm and to petitioners. Some of the property along with the undisputed value thereof transferred or distributed to petitioner Ellen Gumm Bailey is listed below:

Property description Value
100 shares of Diamond Shamrock Stock. $2,781.25
937 shares of Nevada Power Stock. 22,429.44
Nuveen Tax Exempt Bond Trust, Series 91. 4,021.00
American Tax Exempt Bond Trust, Series 23, 9 units.. 5,779.00
American Tax Exempt Bond Trust, Series 13, 3 units.. 2,343.00

Transfers or distributions of the following property of the estate were made to petitioner Ellen Gumm Bailey but no credible valuation is found in the record with respect thereto: a truck-repair garage and shop, a 50-percent interest in an automobile body shop, an interest in an office building, and a Cadillac Fleetwood automobile.

On April 19, 1982, Walter Kirsten died. The family residence passed to petitioners and to Dr. Gumm under the terms of decedent’s will. On August 19, 1982, petitioners and Dr. Gumm and his wife sold the family residence to a third party for $61,000. Petitioners each received a distribution of approximately one-half of the proceeds from the sale of the family residence. The record does not indicate that Dr. Gumm and his wife received any proceeds from this sale.

Prior to decedent’s death, Dr. Gumm had borrowed money from decedent and had executed promissory notes in favor of decedent. Dr. Gumm also was a partner with decedent and Nancy Gumm in a partnership known as First Securities Income Fund (FSIF). The partnership was formed in 1979 for the purpose of engaging in stock and option transactions. During 1982, liquid assets of the estate worth at least $100,000 were lost apparently in conjunction with FSIF investments or other investments while Dr. Gumm served as executor of the estate. Also, the estate was paid only a portion of the promissory notes owed to it by Dr. Gumm. The estate did not file a claim or lawsuit against Dr. Gumm relating to the investment losses, and the estate apparently did not file a claim or lawsuit against Dr. Gumm to obtain a judgment on the amount owed on the promissory notes.

In 1982, after the above-mentioned estate assets worth at least $100,000 were lost, the last parcels of real property owned by the estate (the four lots) were distributed for no consideration to Dr. Gumm and to petitioners. On February 10, 1983, Dr. Gumm and petitioners sold the four lots to Richard C. O’Hair, decedent’s brother, for $36,000. Proceeds from the sale were apparently distributed in equal parts of $12,000 to Dr. Gumm and to each petitioner. No assets remained in the estate after distribution of the four lots.

After suffering major financial difficulties for a number of years prior to 1984, due in part to losses in connection with the stock and option investments of FSIF, Dr. Gumm filed for bankruptcy on July 2, 1984, and relief subsequently was granted under Chapter 7 of the Bankruptcy Code, 11 U.S.C.

Respondent’s Assessment and Collection Efforts

On June 10, 1981, respondent sent a letter to the estate addressed to Dr. Gumm informing him that the credit claimed by the estate pursuant to section 2011 with respect to Illinois death taxes would only be allowed if evidence of payment was provided to respondent.

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Bluebook (online)
93 T.C. No. 38, 93 T.C. 475, 1989 U.S. Tax Ct. LEXIS 132, Counsel Stack Legal Research, https://law.counselstack.com/opinion/gumm-v-commissioner-tax-1989.