Hicks v. Commissioner

1970 T.C. Memo. 267, 29 T.C.M. 1175, 1970 Tax Ct. Memo LEXIS 91
CourtUnited States Tax Court
DecidedSeptember 22, 1970
DocketDocket No. 4121-68.
StatusUnpublished

This text of 1970 T.C. Memo. 267 (Hicks 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
Hicks v. Commissioner, 1970 T.C. Memo. 267, 29 T.C.M. 1175, 1970 Tax Ct. Memo LEXIS 91 (tax 1970).

Opinion

Edward R. Hicks, Transferee v. Commissioner.
Hicks v. Commissioner
Docket No. 4121-68.
United States Tax Court
T.C. Memo 1970-267; 1970 Tax Ct. Memo LEXIS 91; 29 T.C.M. (CCH) 1175; T.C.M. (RIA) 70267;
September 22, 1970, Filed
George Constable, Seattle-First Nat'l Bk. Bldg., Seattle, Wash., for the petitioner. Stephen E. Silver, for the respondent.

DAWSON

Memorandum Findings of Fact and Opinion

DAWSON, Judge: Respondent has asserted against the petitioner transferee liability for a Federal income tax deficiency due from Tussaud's Wax Museums, Inc., transferor, for the taxable year ended February 28, 1963, in the amount of $70,043.23. Since the transferor has paid $96.80 of its liability, there is presently due and owing by the transferor the amount of $69,946.43.

The issue for decision is whether the petitioner is a transferee of the assets of Tussaud's Wax Museums, Inc., transferor, within the provisions of section 6901, Internal Revenue Code of 1954, 1 and the substantive*92 law of the State of Washington, so as to be liable for the income tax deficiency, plus interest as provided by law, now due and owing by the transferor.

Findings of Fact

Some of the facts have been stipulated. The stipulation of facts and supplemental stipulations, together with the exhibits attached thereto, are incorporated herein by this reference.

We also incorporate and adopt as our findings in this case all of the facts found by this Court in Tussaud's Wax Museums, Inc., Docket No. 1196-64, Irene Hicks, Docket No. 2094-64, and Edward R. Hicks, Docket No. 2109-64, T.C. Memo. 1966-211 (1966), particularly with respect to (1) the validity of Tussaud's royalty payment deduction, (2) other expenditures made by Tussaud's on Hicks' behalf, (3) Tussaud's claimed travel expense deduction, (4) the inclusion of drawing account funds in Hicks' income, and (5) dividends.

Edward R. Hicks, Irene Hicks, and Donald R. Crysdale are citizens of Canada who entered the United States in 1961 for the purpose of forming Tussaud's Wax Museums, Inc.

At the time Edward*93 R. Hicks filed his petition in this proceeding on August 28, 1968, he was a legal resident of Victoria, British Columbia.

Tussaud's Wax Museum, Inc. (herein sometimes referred to as the transferor) was incorporated under the laws of the State of Washington on December 14, 1961, by Edward R. Hicks (herein sometimes referred to as the transferee) and two attorneys. The authorized capital of the transferor consisted of 10 shares of stock. Eight shares of stock were issued to the transferee; one share to Irene Hicks, spouse of the transferee; and one share to Donald R. Crysdale. Edward R. Hicks was president of the transferor corporation; Irene Hicks was the vice president and treasurer; and Donald R. Crysdale was secretary.

The transferor filed its Federal corporation tax return for the period March 17, 1962 to February 28, 1963, with the district director of internal revenue at Tacoma, Washington.

London Displays (Bahamas) was incorporated in May of 1962 at the direction of the Trust Corporation of Bahamas, Ltd. The stock of London Displays (Bahamas) Ltd., was owned 50 percent each by Edward R. Hicks and Donald R. Crysdale. Edward R. Hicks subsequently acquired all of the stock*94 of London Displays (Bahamas). London Displays (Bahamas) for the calendar year 1962 did not enter into any business transactions nor did it have any business purpose. Its capital stock was issued for $28. Its financial statements show that it had no income during 1962 and had cash in the bank of only $198.04.

London Displays, N.V. was incorporated on May 8, 1962, in Curacao, Netherlands Antilles. London Displays N.V. is a wholly-owned subsidiary of London Displays (Bahamas) Ltd. London Displays N.V. during 1962 did not enter into any business transactions. The financial statements prepared from the books and records of London Displays N.V. show that the company had no income during 1962 and that it had no cash on hand. Its only assets consisted of $1,541.10 due from London Displays (Bahamas) in consideration of stock that had been issued and $458.90 representing the expenses incurred upon its incorporation.

On December 24, 1963, respondent sent to the transferor, by certified mail, a statutory notice of deficiency determining, inter alia, a deficiency in income tax for the taxable year ended February 28, 1963, in the amount of $71,473.23. 1177

On March 24, 1964, the transferor*95 filed a petition with this Court, bearing Docket No. 1196-64, requesting a redetermination of such deficiency in income tax. The respondent duly filed an answer thereto, placing in issue all the material allegations of that petition.

Royalty Issue

Prior to October 29, 1961, the transferee negotiated with Mr. and Mrs. Stubergh, manufacturers of wax figures in California, to lease wax figures to be displayed at the Seattle World's Fair. The agreement reached between the transferee and the Stuberghs was executed on February 8, 1962. The transferee and Crysdale, as individuals, were the lessees of the wax figures under the agreement. The agreement provided for a total rental of $20,000, payable at $5,000 on or before delivery of the figures, with the balance to be paid in installments within 120 days after the opening of the display, which was scheduled to open at the Seattle World's Fair in the spring of 1962.

The lease which Hicks and Crysdale had with the Stuberghs for the use of the wax figures during the 1962 Seattle World's Fair was not assigned to London Displays, N.V. and during such World's Fair, London Displays N.V. had no proprietary interest in the wax figures not did*96 it have a right to acquire the wax figures.

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Bluebook (online)
1970 T.C. Memo. 267, 29 T.C.M. 1175, 1970 Tax Ct. Memo LEXIS 91, Counsel Stack Legal Research, https://law.counselstack.com/opinion/hicks-v-commissioner-tax-1970.