Henry v. Commissioner

1997 T.C. Memo. 29, 73 T.C.M. 1769, 1997 Tax Ct. Memo LEXIS 28
CourtUnited States Tax Court
DecidedJanuary 16, 1997
DocketDocket Nos. 27188-91, 1987-92.
StatusUnpublished
Cited by5 cases

This text of 1997 T.C. Memo. 29 (Henry 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
Henry v. Commissioner, 1997 T.C. Memo. 29, 73 T.C.M. 1769, 1997 Tax Ct. Memo LEXIS 28 (tax 1997).

Opinion

ALBERT J. HENRY, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent; MARY HENRY, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Henry v. Commissioner
Docket Nos. 27188-91, 1987-92.
United States Tax Court
T.C. Memo 1997-29; 1997 Tax Ct. Memo LEXIS 28; 73 T.C.M. (CCH) 1769;
January 16, 1997, Filed
*28

Decisions will be entered for respondent as to the deficiency and the additions to tax under sec. 6653(a), and for petitioners as to the addition to tax under sec. 6661.

Timothy M. Hughes, Charles F. Gibbs, and William G. Cavanaugh, for petitioners.
June Y. Bass and Valerie N. Larson, for respondent.
GERBER

GERBER, Judge

MEMORANDUM FINDINGS OF FACT AND OPINION

GERBER, Judge: Respondent determined a deficiency in petitioners' 1982 Federal income tax in the amount of $ 2,099,534 and additions to tax pursuant to sections 6653(a)(1) 1 and 6661 in the amounts of $ 104,976.70 and $ 524,883.50, respectively.

The issues remaining for our consideration concern whether petitioners are liable for additions to tax under section 6653(a) (1) and (2) and section 6661 for the taxable year 1982. The parties have stipulated that the conclusions in Cramer v. Commissioner, 101 T.C. 225 (1993), affd. 64 F.3d 1406 (9th Cir. 1995), control as to the underlying income tax deficiency.

In Cramer v. Commissioner, supra, *29 the taxpayers, like petitioner Albert J. Henry, were shareholders and officers in a corporation that issued certain stock options subject to restrictions on vesting and transfer in connection with their performance of services for the corporation. For certain of the options, the taxpayers filed "section 83(b) elections" in which they reported the fair market value of the options as zero. Upon the sale of the options to an unrelated company in 1982, the taxpayers misstated the transactions on their returns, reporting them as gains from the sale of capital assets. We sustained respondent's determination that the proceeds from such options were taxable as ordinary income at the time of disposition because the options did not have "readily ascertainable fair market values" as defined in section 1.83-7, Income Tax Regs.

FINDINGS OF FACT 2

Petitioners Albert J. Henry and Mary Henry resided in San Diego, California, and Scarborough, North Yorkshire, England, respectively, at the time of filing petitions in these cases. Petitioners' 1982 joint Federal income tax return was prepared by their accountant, Robert *30 E. Douglas (Douglas), who signed it as the preparer on April 15, 1983.

Albert J. Henry (Henry) has a bachelor of science degree in civil engineering as well as a master's degree in business administration. Between 1962 and 1968, Henry worked as a lending officer at First National City Bank (First National) in New York City. In that capacity, subject to approval, he reviewed and prepared credit lines for businesses.

After his tenure with First National, Henry worked in Los Angeles and New York City for firms that were members of the New York Stock Exchange. In that regard, Henry prepared institutional research reports on growth companies for use by entities like mutual and pension funds, as well as banks.

Institutional reports are intended to cover a particular company's products, what the projected growth rate might be, and what sort of proprietary advantages the company might have. These reports were designed to give money managers an idea of the value of a company's stock. These reports do not incorporate information on tax matters involving the particular company in question.

IMED Corp. (IMED)

Richard A. Cramer (Cramer) founded IMED, a company engaged in the design, manufacture, *31 and sale of electronic medical instruments, primarily a device known as an "infusion pump", and related disposable devices. From 1972 through August 1982, Cramer was a shareholder, president, chairman of the board of directors, and chief executive officer of IMED. From 1972 through August 1982, Warren K. Boynton (Boynton) was vice president of IMED. Boynton was on the board from 1972 through October 1973 and from December 1974 through August 1982.

Kevin P. Monaghan (Monaghan) served as outside general counsel to IMED from its inception in 1972 until August 1982. From August 1975 through August 1982, Monaghan was assistant secretary of the board of directors of IMED (the board). Monaghan was an attorney admitted to practice in California. Cramer, Boynton, and Monaghan were close friends as well as business associates.

Dan R. Hendrickson (Hendrickson) was hired as a corporate controller of IMED on March 8, 1976, and became treasurer of IMED on February 14, 1978. Hendrickson previously had prepared Cramer's personal income tax returns for a number of years. At IMED, Hendrickson reported directly to Cramer on the financial condition of the company and the associated tax liabilities.

The *32 stock of IMED was neither publicly traded on an established stock market exchange nor registered with the Securities and Exchange Commission from 1978 through 1981.

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Bluebook (online)
1997 T.C. Memo. 29, 73 T.C.M. 1769, 1997 Tax Ct. Memo LEXIS 28, Counsel Stack Legal Research, https://law.counselstack.com/opinion/henry-v-commissioner-tax-1997.