Hildebrandt v. Department of Taxation

86 N.E.2d 802, 86 Ohio App. 246, 54 Ohio Law. Abs. 142
CourtOhio Court of Appeals
DecidedMarch 7, 1949
Docket21089
StatusPublished
Cited by1 cases

This text of 86 N.E.2d 802 (Hildebrandt v. Department of Taxation) is published on Counsel Stack Legal Research, covering Ohio Court of Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Hildebrandt v. Department of Taxation, 86 N.E.2d 802, 86 Ohio App. 246, 54 Ohio Law. Abs. 142 (Ohio Ct. App. 1949).

Opinion

OPINION

By HURD, J.

This is an appeal on questions of law from a judgment of the Probate Court wherein the Court held taxable under Ohio Inheritance Tax laws four gifts inter vivos made by the decedent eleven years prior to her death. The appeal is prosecuted by Robert J. Hildebrandt, Executor of the last will and testament of Katharina Hildebrandt, deceased, from the order of the Probate Court dated February 6, 1948, overruling exceptions to the assessments of inheritance taxes upon the gifts made by the decedent to her four children in 1935, in the sum of $50,000.00 each. The Probate Court at the same time sustained Exceptions to another gift of $50,000 made at the same time, to four grandchildren of the decedent, the same being the children of decedent’s deceased daughter, Catherine Hildebrandt Pfahl, in the sum of $12,500.00 each, holding that said gifts were not taxable. No appeal was filed by the Department of Taxation of Ohio from the order of the Probate Court sustaining the exceptions in respect of the gifts to the grandchildren.

There appears to be no dispute as to the facts. Katharina Hildebrandt who died January 31, 1947 at the age of 86 years was born in Gruenstadt, Germany, in the year 1860. In the year 1886 she married Charles R. Hildebrandt, the issue of said marriage being Catharine H. Pfahl, who died in 1919; *144 Hugo A. Hildebrandt who died in 1942; Mathilda H. Pfahl who died in 1944 and Robert J. Hildebrandt and Frances P. Haag. The decedent’s husband is still living.

Russell Arnold, M. D., was the Hildebrandt family physician from 1937 to the date of decedent’s death. From his professional observations during that period Katherina Hildebrandt enjoyed good health, was active in the affairs of her household, church and family until shortly before her death. She enjoyed unusually good health until 1944. In the last years of her life she suffered from heart trouble which resulted in her death on January 31, 1947. She had a strong constitution and retained her mental faculties until the time of her death.

For some years prior to 1893, Charles R. Hildebrandt, decedent’s husband, operated a wholesale meat business in partnership with a relative. In that year his partnership was terminated and Mr. Hildebrandt moved to the present location of The Hildebrandt Provision Company on Walton Avenue in Cleveland, Ohio. In 1906 The Hildebrandt Provision Company, a corporation, was organized. The stock of this company was closely held by Charles R. Hildebrandt' and Katharina Hildebrandt there being only a small amount held by individuals other than the Hildebrandt family. The company was a family enterprise with the father and mother and their five children being all active in company affairs.

The capital stock of the Company consists of 1500 preferred shares and 1500 common shares of which Katharina Hildebrandt at the time of her death owned 300 preferred and 300 common shares and substantially all the rest of said stock, both common and preferred, were owned by Charles Hildebrandt. At the time of the death of Katharina Hildebrandt, a unit consisting of one preferred share and one common share was worth $500.00.

Catherine Hildebrandt rendered numerous services to the company and acted as vice-president until the time of her death. Hugo A. Hildebrandt a son of the decedent, drove the delivery wagon for the company at the age of fourteen years and worked in the factory part time. After one year at Spencerian College, at the age of seventeen years, he began taking care of the books of the company and later became secretary and treasurer of the company which position he retained until, the time of his death.

Robert J. Hildebrandt, the son of the decedent, began to sell sausage for the company in the Market House at the age of eleven years and went with the company on a full time basis when he was 18 years of age. He worked there continuously, later becoming superintendent and at the time *145 of his brother Hugo’s death, was General Manager of the company.

Catherine H. Pfahl, a daughter of the decedent, worked in the company’s retail market stand at the West Side Market House and 'did clerical -work for the company until the time of her death in 1919.

Frances P. Haag, a daughter of decedent, worked part time in the office and later became secretary of the company.

The company developed into a very successful family enterprise in the processing of meats, growing from an organization of about 15 employees in 1906 to about 150 employees in 1947. At the time of the death of Katharina Hildebrandt, the company owned assets worth approximately two million dollars.

Charles R. Hildebrandt, decedent’s husband, was for many years the active operating head of the company but about 1933 he became less active in the company and some of the responsibility for operating the company was placed with his two sons, Hugo A. Hildebrandt and Robert J. Hildebrandt.

In December, 1935, Katharina Hildebrandt made a gift at the Christmas season to her four children above referred to, in the sum of $50,000.00 each and a gift of $50,000.00 to her four grandchildren, the children of her deceased daughter, Catherine Hildebrandt Pfahl in equal shares. The gifts were made largely in government bonds and cash and the securities were actually transferred and delivered to the donees on Dec. 27, 1935.

According to the Federal Gift Tax Returns filed with the Government the gifts were “to create or to increase independent estates of the donees and permit them to receive the enjoyment of these gifts.” After making the gifts the decedent retained property having a value of between $500,000.00 and $550,000.00. Her estate has been accumulated substantially from dividends of The Hildebrandt Provision Company and from income on securities originally purchased from dividends received from the company. The gross value of her estate was $750,000.00 at the time of her death in 1947. She retained until her death her entire stock interest in the Hildebrandt Provision Company.

Robert J. Hildebrandt, son of the decedent, testified upon the hearing that his mother advised him some time prior to Christmas in 1935 that she intended to make a substantial Christmas gift to her children as a reward for their contributions to the Hildebrandt Provision Company and also to create independent estates and so that they could enjoy this money.

*146 The assignment of error is as follows:

“The probate court erred in determining that the gifts made to the decedents’ four children, eleven years before her death, were subject to Ohio Inheritance Tax as having been made ‘in contemplation of death’ for the following reasons: (1) the department wholly failed to sustain its burden of proof that the inter vivos gifts were made in contemplation of death, and (2) that the evidence conclusively proves that said gifts were not made ‘in contemplation of death.’ ”

The single question presented for our determination in this case is: Were the gifts in question made ‘in contemplation of death’ within the meaning of §§5331, 5332, 5332-2 GC?

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Related

In re Estate of Eck
179 N.E.2d 192 (Montgomery County Probate Court, 1960)

Cite This Page — Counsel Stack

Bluebook (online)
86 N.E.2d 802, 86 Ohio App. 246, 54 Ohio Law. Abs. 142, Counsel Stack Legal Research, https://law.counselstack.com/opinion/hildebrandt-v-department-of-taxation-ohioctapp-1949.