Holladay v. Commissioner

72 T.C. No. 51, 72 T.C. 571, 1979 U.S. Tax Ct. LEXIS 97
CourtUnited States Tax Court
DecidedJune 25, 1979
DocketDocket No. 6781-75
StatusPublished
Cited by22 cases

This text of 72 T.C. No. 51 (Holladay 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
Holladay v. Commissioner, 72 T.C. No. 51, 72 T.C. 571, 1979 U.S. Tax Ct. LEXIS 97 (tax 1979).

Opinions

Dawson, Judge:

Respondent determined deficiencies in the Federal income taxes of petitioners as follows:

Year Deficiency Year Deficiency
1968 . $38,914 1971 . $120,154
1969 . 97,519 1972 . 260,727
1970 . 11,403 1973 . 126,690

After concessions by respondent, the sole issue1 for our decision is whether the allocation to petitioner of all the taxable losses of the Kings Creek Joint Venture for the taxable years 1970 through 1973 is a bona fide allocation within the meaning of section 704.2

FINDINGS OF FACT

Some of the facts have been stipulated and are found accordingly. The stipulation of facts and the exhibits attached thereto are incorporated herein by this reference.

Durand A. Holladay and Blanche F. Holladay, husband and wife, resided in Coral Gables, Fla., at the time their petition was filed in this case. Petitioners filed joint Federal income tax returns for 1968 through 1973 with the Internal Revenue Service Center, Chamblee, Ga. Blanche F. Holladay is a party to this action solely because she signed the joint return in question. Consequently, any reference to petitioner relates to Durand A. Holladay.

The development of the Kings Creek Apartments project originated before any involvement by petitioner. Charles I. Babcock, Jr. (hereinafter Babcock), during the years in question, was a developer and builder of housing. On October 18, 1968, Babcock purchased 17y2 acres of undeveloped land (hereinafter the Kings Creek land) in southwest Dade County for the site of the construction of the Kings Creek Apartments. Babcock financed 90 percent of the $599,000 purchase price with purchase money mortgages and promissory notes. On the same day, Babcock transferred the Kings Creek land to Babcock Co., his personal investment company, and received in return the 10-percent downpayment and expenses that he had incurred to purchase the property. After capitalizing interest, real estate taxes, and other expenses, the total acquisition cost of the Kings Creek land was $631,533.55.

Babcock Co. prepared plans to have the Kings Creek Apartments built in three phases of 200 units each by Babcock’s construction company, Babcock Builders, Inc. In the latter part of 1969, Babcock Builders, Inc., prepared the Kings Creek land for construction of the apartments by installing sewer and water lines, driveways, electric utilities, and streets at a cost of approximately $202,000. The buildings were constructed in accordance with the following schedule:

Building No. 1 (102 units) ['phase I]
1. Permit .November 25, 1969
2. Plans .September 26, 1969 tc
3. Construction began .December 1969 oo
4. Construction completed .July 1970
5. Rental income began .August 1970 cn
6. Depreciation began .July 1, 1970 os
Building No. 2 (96 units) [phase I]
1. Construction began .May 1970
2. Construction completed .January 1971 <N
3. Depreciation began .February 1, 1971 CO
Building No. 3 (clubhouse) [phase I]
1. Construction began .June 1970 M
2. Construction completed .January 1971 M
3. Depreciation began .January 1, 1971 05
Building No. U (20U units) [phase II]
1. Permit .June 18, 1970 M
2. Construction began .July 1970 tO
3. Construction completed .May 1971 05
4. Depreciation began .June 1, 1971 ^
Building No. 5 (198 units) [phase III]
1. Permit .June 18, 1970 H
2. Construction began .December 1970 N
3. Construction completed .August 1971 M
4. Depreciation began .September 1, 1971 ^
Cabana and pool [phase III]
1. Construction began .August 1971 H
2. Construction completed .October 1971 tO
3. Depreciation began .November 1, 1971 05

To finance the above construction, Babcock initially relied on short-term institutional financing. His long range objectives were to build the apartment project, to recover the equity that Babcock Co. had invested in the project, to earn construction and management fees, and to retain an ownership interest in the project. To attain these objectives, Babcock wished to finance the project in accordance with what he characterized as a classic builder/investor deal. Babcock hoped to provide building and management expertise, but to have most of the equity financing provided by a third party investor. Additional funds were to be obtained by institutional debt financing.

Accordingly, Babcock prepared an economic analysis for a proposed joint venture limited partnership to develop the Kings Creek Apartments. The analysis estimated costs, revenues, and return on investment for a proposed joint venture to develop the project. The advantages of tax losses generated during the early years were noted in the economic analysis. Babcock used the analysis in several unsuccessful attempts to obtain mortgage financing from major insurance companies and equity financing from private individuals. In February 1970, Babcock submitted the economic analysis to petitioner.

Petitioner is an attorney and a graduate of both Georgia Tech., where he studied engineering, and the University of Miami Law School. From 1949 until 1962, petitioner was engaged in the active practice of law in Miami, Fla. In 1962, he and three other individuals were instrumental in forming Continental Mortgage Investors, one of the first real estate investment trusts. From 1962 until 1967, petitioner was associated with Continental Mortgage Investors as legal counsel. In 1967, the petitioner terminated his practice of law and became the president of Continental Advisors (originally named Mortgage Consultants), which was the investment adviser, loan manager, and financial recordkeeper for Continental Mortgage Investors. In 1969 and 1970, the petitioner became the senior executive of Continental Advisors. The petitioner drew a salary of approximately $50,000 per year from Continental Advisors.

By 1970, Continental Mortgage Investors had accumulated a loan portfolio of approximately $300 million. Some of the mortgage loans placed by Continental Mortgage Investors were for the construction of apartment projects similar to the Kings Creek Apartments.

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Holladay v. Commissioner
72 T.C. No. 51 (U.S. Tax Court, 1979)

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Bluebook (online)
72 T.C. No. 51, 72 T.C. 571, 1979 U.S. Tax Ct. LEXIS 97, Counsel Stack Legal Research, https://law.counselstack.com/opinion/holladay-v-commissioner-tax-1979.