Hallowell v. Commissioner

56 T.C. 600, 1971 U.S. Tax Ct. LEXIS 112
CourtUnited States Tax Court
DecidedJune 22, 1971
DocketDocket No. 5278-69
StatusPublished
Cited by34 cases

This text of 56 T.C. 600 (Hallowell 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
Hallowell v. Commissioner, 56 T.C. 600, 1971 U.S. Tax Ct. LEXIS 112 (tax 1971).

Opinion

OPINION

Raum, Judge:

The Commissioner determined the following deficiencies in petitioners’ income tax:

Calendar year Deficiency
1964 _ $1, 696. 00
1965 _ 7,807. 01
1966 _ 1,144.80

The only question presented for decision is whether petitioner James M. Hallowell is to be charged with the gain derived from the sale of certain securities which he had “donated” to a family-controlled corporation shortly before the sales in issue were made. The facts have been stipulated.

-Petitioners James M. and Mary M. Hallowell are husband and wife. They filed joint Federal income tax returns .for the calendar years 1964, 1965, and 1966 with the district director of internal revenue at Boston, Mass., and resided in Chatham, Mass., at the time the petition in. this case was filed.

Chatham Bowling Center, Inc. (Chatham), was incorporated under the laws of the Commonwealth of Massachusetts on March 29, 1954. Throughout the 3 calendar years involved herein, Chatham’s officers and stockholders were as follows:

Name Title Number of Percentage shares held ownership
James M. Hallowell (petitioner)..Treasurer. Mary M. Hallowell (petitioner)....... President. James M. Hallowell III (son of petitioners).. Josselyn H. Bliss (daughter of petitioners).. Dorothy M. Hallowell (sister of petitioner Mary M. Hallo-well).. Others......;.... 1 .25 204 51.00 90 22.50 90 22.60 2 .60 13 3.25 Total. 400 100.00

Chatham’s Federal corporate income tax returns for 1964, 1965, and 1966 disclose that during this period petitioner James M. Hallo-well (sometimes hereinafter referred to as James or Hallowell) was the only officer to receive compensation, that he devoted 100 percent of his time to the business of the corporation, and that he owned, directly or indirectly 96.25 percent of Chatham’s stock. During the same period, Chatham’s board of directors consisted of petitioners James M. and Mary M. Hallowell and Louise T. Hallowell, James’ mother. On the death of Louise T. Hallowell in 1966, her place on the board of directors was taken by Josselyn H. Bliss, petitioners’ daughter.

As of January 1, 1958, Chatham had net operating loss carryovers from prior years totaling $29,041. During its taxable years 1958 through 1963, its taxable income (loss), before taking net operating loss carryovers into account, was as follows:

Tamable Tamable income year (loss)
1958 _($6,089)
1959 _ (8,222)
1960 _ (8,724)
1961 - (7,978)
1962 _ (2,825)
1963 _ 11,011

As of January 1, 1964, Chatham had available net operating loss carryovers of $22,903.

Prior to the years in question petitioners had “advanced” funds to Chatham and received hi return non-interest-bearing “demand notes” as follows:

Date Amount
Mar. 11, 1957_r_!-$29,000
Dec. 21, 1957_ 12,000
Dec. 23, 1958_ 11,000
Dec. 30, 1959_ 13,000
Dec. 30, 1960_ 13,000
Total_ 78,000

Commencing on December 24, 1963, and during the years here in issue, Hallowell transferred to Chatham 189)4 shares of International Business Machine Corp. (IBM) common stock which Chatham subsequently disposed of on the open market as follows:

Date transferred Number of Basis to Date sold by Chatham Net sale Net capi-ta Chatham shares transferor proceeds tal gain transferred
Dec. 24,1963. Feb. 26, 1964. June 5,1964.. July 7, 1964.. Aug. 10,1964. Dec. 3, 1964.. 5 5 6 M 10 10 3 5 $569.93 19.16 June 1 164.80 June 2 zero July I July 626.48 iAug. (Dec. ^107-46 {sept 1,135.66 {ggf-493.80 Dec. 16, 1964 (3 shares).. 16,1964 (2shares). 16.1964. 16, 1964. 7.1964. 7.1964 (3 shares)... 18, 1964 (3 shares). 20, 1964 (34, share). 18.1964 (6 shares). 8, 1964 (5 shares).. 8.1964 (1 share)... 16, 1964 (9 shares).. 21.1964 (6 shares).. $1,704.10 . 939.68 $2,073.85 2,361.69 2,342.64 457.34 302.54 954.64 954.64 1,431 96 . 1,335.27 . 103.25 2,245.00 2,225.44 . 2,190.39 3,308.37 438.08 .. 3,807.84 3,110.26 2,065.36 1,661.55 Total 1964 gain...... Dec. 3,1964. 15 1,481.40 Feb. 23,1965. 25 1,881.31 May5,1965... 18 1,999.17 July 19, 1965. 10 1,066.69 Aug. 23, 1965. 40 4,532.18 Nov. 8, 1965. 20 2,458.39 .. 15,898.75 Mar. 27, 1966 (10 shares). 4,691.60 . Apr. 2, 1965 (6 shares). 2,263.30 5,373.50 Apr. 2, 1965 (6 shares). 2,263.30 . May 10, 1965 (20 shares). 9,603.20 9,985.19 May 26,1965. 8,670.88 6,571.71 July 20, 1965. 4,728.45 3,661.76 Aug. 27,1965. 19,628.11 15,095.93 ÍNov. 16, 1965 (6 shares). 2,665.34 . |Nov. 24,1965 (5 shares)_ 2,735.69 . iDec. 28,1965 (10 shares). 4,980.95 7,923.49 Total 1965 gain. 48,611.58 Feb. 21,1966. 20 1,807.82 Mar. 11,1966. 10,033.74 8,225.92 Total gain from IBM sales in 1964, 1965, and 1966. 72,736.25

No additional shares of Chatham stock were issued to Hallowell upon his transfer of IBM stock to Chatham. The stock transfers were listed on Chatham’s books as credits to a capital stock account and debits to a securities and investments asset account, and were described in its journal entries as either donated capital or donated surplus. At the end of each of the years in issue, the net' gain from the sales of the IBM stock was transferred on Chatham’s books from donated capital or donated surplus to profit and loss.

All of the orders for IBM stock transfers to Chatham and orders for the subsequent sales thereof by Chatham were received and handled by George Draper of Draper Sears & Co., as broker. Each transaction and the records and accounts thereof were processed and maintained by E. F. Hutton & Co. Throughout the period in question, E. F. Hutton & Co. maintained two separate accounts, one in the name of Hallowell and one in the name of Chatham.

The manner in which the accounts were maintained is illustrated by the following example. The statement of Hallowell’s account for the monthly period ending March 26, 1964, shows five IBM shares “Delivered” by James M. Hallowell as of March 4, 1964 (the settlement date for the transfer of February 26, 1964). The statement of Chatham’s account shows the following entries:'

1. 1 IBM share “Received” on February 28, 1964, and $154.80 paid for the “Fraction Bought”;
2. 6 IBM shares “Received” on March 4,1964 (settlement date for petitioner’s delivery of 5 shares);
8. IBM dividend of $6.25 credited on March 10, 1964, an’d paid by check on March 23, 1964;
4.

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

Related

COMEY v. COMMISSIONER
2001 T.C. Memo. 275 (U.S. Tax Court, 2001)
Estate of Kluener v. Commissioner
1996 T.C. Memo. 519 (U.S. Tax Court, 1996)
Monahan v. Commissioner
1994 T.C. Memo. 201 (U.S. Tax Court, 1994)
Rollins v. Commissioner
1993 T.C. Memo. 643 (U.S. Tax Court, 1993)
In Re AJ Lane & Co., Inc.
133 B.R. 264 (D. Massachusetts, 1991)
Robino, Inc. Pension Trust v. Commissioner
894 F.2d 342 (Ninth Circuit, 1990)
McDonnell v. Commissioner
1987 T.C. Memo. 541 (U.S. Tax Court, 1987)
Caruth v. United States
688 F. Supp. 1129 (N.D. Texas, 1987)
Filler v. Commissioner
1987 T.C. Memo. 468 (U.S. Tax Court, 1987)
TCS Mfg., Inc. v. Commissioner
1987 T.C. Memo. 367 (U.S. Tax Court, 1987)
Murry v. Commissioner
1984 T.C. Memo. 670 (U.S. Tax Court, 1984)
P. R. Farms, Inc. v. Commissioner
1984 T.C. Memo. 549 (U.S. Tax Court, 1984)
Estate of Applestein v. Commissioner
80 T.C. No. 10 (U.S. Tax Court, 1983)
Foster v. Comm'r
80 T.C. No. 3 (U.S. Tax Court, 1983)
Stewart v. Commissioner
1982 T.C. Memo. 209 (U.S. Tax Court, 1982)
Blake v. Commissioner
1981 T.C. Memo. 579 (U.S. Tax Court, 1981)

Cite This Page — Counsel Stack

Bluebook (online)
56 T.C. 600, 1971 U.S. Tax Ct. LEXIS 112, Counsel Stack Legal Research, https://law.counselstack.com/opinion/hallowell-v-commissioner-tax-1971.