Hassen v. Commissioner

63 T.C. 175, 1974 U.S. Tax Ct. LEXIS 25
CourtUnited States Tax Court
DecidedNovember 13, 1974
DocketDocket Nos. 1544-68, 3686-68, 3687-68, 4030-68, 4066-68, 4182-68
StatusPublished
Cited by17 cases

This text of 63 T.C. 175 (Hassen 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
Hassen v. Commissioner, 63 T.C. 175, 1974 U.S. Tax Ct. LEXIS 25 (tax 1974).

Opinion

Scott, Judge:

Respondent determined deficiencies in petitioners’ Federal income tax and additions thereto under sections 6651(a) and 6653(a), I.R.C. 1954,2 as follows:

Petitioner Docket No. Year Addition to tax Deficiency Sec. 6651(a) Sec. 6653(a)
E.E. Hassen and B.B. Hassen 1644-68 1965 $4,764.00
Erwin E. Hassen and Birdie B. Hassen 3686-68 1959 1961 1962 73,177.85 2,156.85 189,795.65 $3,658.89 107.84 9,489.78
Erwin E. Hassen and Birdie B. Hassen 4030-68 1963 24,859.68 1,242.98
Vinemore Co., Inc. 3687-68 FY ending 8/31/62 69,601.05 4066-68 FY ending 8/31/63 17,114.50 FY ending 8/31/64 31,539.17 855.73 1,576.96
Towne Avenue Hospital & Sanitarium 4182-68 1962 1963 10,000.00 $500.00 11,259.07 562.95 500.00 562.96

Some of the issues raised by the pleadings have been disposed of by agreement of the parties, leaving for our decision the following:

(1) Whether section 267(a)(1) prohibits the deduction by petitioners Erwin E. and Birdie B. Hassen of a loss on the foreclosure during 1961 upon real property which was a community asset where the property was purchased at the trustee’s sale by the foreclosing party and pursuant to a prior agreement transferred to a corporation owned by petitioners and members of their immediate family.

(2) Whether petitioner Vinemore Co., Inc., is entitled to deduct for its fiscal year ending August 31,1964, rental payments for Civic Center Hospital in the amount of $48,000.

FINDINGS OF FACT

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

At the time of the filing of their petitions in this case E. E. (E. E.) and B. B. (B. B.) Hassen, husband and wife, were residents of Los Angeles County, Calif. They filed joint Federal income tax returns for the calendar years 1959 through 1963 with the office of the district director of internal revenue at Los Angeles.

Vinemore Co., Inc. (Vinemore), was a California corporation. At the time it filed its petitions in this case, it had its principal office in Los Angeles, Calif. It filed Federal corporate income tax returns for the period October 17, 1957, through August 31, 1958, and for its fiscal years ending August 31, 1959, through August 31, 1964, with the office of the district director of internal revenue at Los Angeles.

Towne Avenue Hospital & Sanitarium (Towne) was a California corporation. At the time it filed its petition in this case, its principal office was in Los Angeles, Calif. It filed Federal corporate income tax returns for the calendar years 1962 and 1963 and filed an amended return for the calendar year 1963 with the office of the district director of internal revenue at Los Angeles.

U.L.C. Corp. (U.L.C.) and B.J.S. Corp. (B.J.S.) were California corporations.

Vinemore utilized an accrual basis of accounting while Towne, U.L.C., B.J.S., and E. E. and B. B. utilized the cash basis at all times here material.

All the shares of stock of each of the above corporations, Vinemore, Towne, U.L.C., and B.J.S., were owned at all times here material by E. E. and B. B., their daughters, their brothers, and their sisters.

Issue 1

On March 18, 1955, E. E. and B. B. purchased Golden State Hospital (Golden State), for $975,000. Although this property was a community asset, B. B. was the nominal owner of Golden State. Subsequent to 1955, E. E. borrowed moneys from his sister, Betty Stein, and B. B. as the nominal owner executed a note and trust deed pledging Golden State to secure the loan. In 1958, Betty Stein transferred the note and trust deed to Pacific Thrift & Loan Co. (Pacific Thrift) as an accommodation to E. E. in connection with his sale in 1958 of shares of stock of Pacific Thrift. Since 1958 E. E. has not owned any interest in Pacific Thrift.

Commencing in 1960 Pacific Thrift exerted pressure on E. E. and B. B. to make payments on the note which was in default and threatened foreclosure. In November 1960, Pacific Thrift served a notice of foreclosure upon E. E. and B. B. pursuant to State law. E. E., who had been seeking financing to cure the default, was able to obtain several extensions. In May 1961, Pacific Thrift was forced to foreclose by virtue of the pressure exerted on it by the California Corporations Commission. The trustee’s sale took place on May 31, 1961, and Pacific Thrift was the only bidder, purchasing Golden State for $46,300 which amount was equal to the outstanding balance of the note. Pacific Thrift acquired legal title to Golden State as of May 31,1961. E. E. and B. B. Hassen’s adjusted basis in Golden State was $524,125.44 at the time of the trustee’s sale.

During a discussion between E. E. and Mr. Beidner, an officer of Pacific Thrift, a few days prior to May 31, 1961, Mr. Beidner stated that if E. E. did not cure the default and it became necessary to foreclose, and if Pacific Thrift bought Golden State at the trustee’s sale, Pacific Thrift would give E. E. or an entity specified by him the first right to purchase Golden State from Pacific Thrift for the amount outstanding on the defaulted note plus foreclosure costs. This right to purchase was contingent upon E. E.’s ability to borrow the purchase price within 90 days of the trustee’s sale.

On June 5, 1961, U.L.C. and Pacific Thrift entered into an escrow agreement obligating U.L.C. to purchase Golden State3 unless it was unable to obtain financing. The purchase price was $70,000, which amount equaled the amount outstanding on the defaulted note and the costs incurred by Pacific Thrift on the foreclosure. On August 30, 1961, the sale was consummated and Pacific Thrift conveyed the legal title of Golden State by grant deed to U.L.C.

Petitioners E. E. and B. B. in their return for the calendar year 1961 noted that they had sustained a loss on the foreclosure of Golden State during that year but did not claim a loss as the amount of the loss was uncertain at that time due to “pending litigation.” In their return for the calendar year 1962 petitioners did claim a “depreciation or operating loss on Golden State” of $431,382.60. Respondent disallowed this claimed deduction in its entirety with the explanation that “a foreclosure loss, depreciation or operating loss on Golden State Hospital claimed in your 1962 return in the amount of $431,382.60 (and subsequently claimed in a protest to be a foreclosure loss of $524,125.53 in 1961) is not allowable because it has not been established that you are entitled to deduct such amount.”

Issue 2

In early 1963 E. E. negotiated a sublease of the premises at 1925 Trinity Street known as American Hospital from the lessee, Trinity Washington Services, Inc. (Trinity), which was owned by George Finerman. The rental payments were to be at the rate of $4,000 per month but Trinity required an initial advance payment of $12,000 for 3 months’ rent. In satisfaction of this requirement, E. E. drew a check, dated April 26,1963, payable to Trinity in the amount of $12,000 on an account of U.L.C.

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Hassen v. Commissioner
63 T.C. 175 (U.S. Tax Court, 1974)

Cite This Page — Counsel Stack

Bluebook (online)
63 T.C. 175, 1974 U.S. Tax Ct. LEXIS 25, Counsel Stack Legal Research, https://law.counselstack.com/opinion/hassen-v-commissioner-tax-1974.