Hospital Corp. of Am. v. Commissioner

1996 T.C. Memo. 559, 72 T.C.M. 1581, 1996 Tax Ct. Memo LEXIS 578
Procedural entryThis page is a short order in Hospital Corp. of Am. v. Commissioner. Read the opinion of the Court — 109 T.C. 21
United States Tax Court·Decided December 30, 1996·No. Docket Nos. 10663-91, 13074-91, 28588-91, 6351-92·Unpublished

Opinion

HOSPITAL CORPORATION OF AMERICA AND SUBSIDIARIES, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Hospital Corp. of Am. v. Commissioner
Docket Nos. 10663-91, 13074-91, 28588-91, 6351-92
United States Tax Court
T.C. Memo 1996-559; 1996 Tax Ct. Memo LEXIS 578; 72 T.C.M. (CCH) 1581;
December 30, 1996, Filed
N. Jerold Cohen, Randolph W. Thrower, J.D. Fleming, Jr., Walter H. Wingfield, Stephen F. Gertzman, Reginald J. *580 Clark, Amanda B. Scott, Walter T. Henderson, Jr., William H. Bradley, and John W. Bonds, Jr., for petitioners in docket No. 10663-91.
N. Jerold Cohen, Randolph W. Thrower, J.D. Fleming, Jr., Walter H. Wingfield, Stephen F. Gertzman, Reginald J. Clark, Amanda B. Scott, Walter T. Henderson, Jr., William H. Bradley, John W. Bonds, Jr., and Daniel R. McKeithen, for petitioners in docket No. 13074-91.
N. Jerold Cohen, Walter H. Wingfield, Stephen F. Gertzman, Amanda B. Scott, Reginald J. Clark, Randolph W. Thrower, Walter T. Henderson, Jr., and John W. Bonds, Jr., for petitioners in docket No. 28588-91.
N. Jerold Cohen, Reginald J. Clark, Randolph W. Thrower, Walter T. Henderson, Jr., and John W. Bonds, Jr., for petitioners in docket No. 6351-92.
Robert J. Shilliday, Jr., Vallie C. Brooks, and William B. McCarthy, for respondent.
WELLS

WELLS

MEMORANDUM FINDINGS OF FACT AND OPINION

WELLS, Judge: These cases were consolidated for purposes of trial, briefing, and opinion and will hereinafter be referred to as the instant case. 1 Respondent determined deficiencies in petitioners' consolidated corporate Federal income tax as shown below.

*581

Tax Year EndedDeficiency
1978$ 2,187,079.00
1980388,006.58
198194,605,958.92
198229,691,505.11
198343,738,703.50
198453,831,713.90
198585,613,533.00
198669,331,412.00
1987294,571,908.00
198825,317,840.00

Unless otherwise indicated, all section references are to the Internal Revenue Code in effect for the years in issue, and all Rule references are to the Tax Court Rules of Practice and Procedure.

The issue to be decided in the instant opinion is the amount petitioners realized during tax years ended 1987 and 1988 from the sale of the stock of certain subsidiaries. To ascertain the amount realized, we must decide the fair market value of preferred stock and common stock warrants petitioners received as part of the consideration for the sale of that stock.

FINDINGS OF FACT

Some of the facts have been stipulated for trial pursuant to Rule 91 and are incorporated herein by reference. We find as facts the parties' stipulations of fact.

During the years in issue, petitioners were members of an affiliated group of corporations whose common parent was Hospital Corporation of America (HCA), which was incorporated under the laws of the State of*582 Tennessee. 2HCA maintained its principal offices in Nashville, Tennessee, on the date the petitions were filed. For each of the years involved in the instant case, HCA and its domestic subsidiaries filed a consolidated Federal corporate income tax return (consolidated return) on Form 1120 with the Director of the Internal Revenue Service Center at Memphis, Tennessee.

Petitioners' primary business is the ownership, operation, and management of hospitals. In Hospital Corp. of Am. v. Commissioner, T.C. Memo. 1996-105, we set forth a detailed description of petitioners' hospital operations, which will not be reiterated here. We incorporate herein our findings of fact contained in that Memorandum Opinion. *583 In Hospital Corp. of Am. v. Commissioner, 107 T.C. 73 (1996), issued September 12, 1996, we addressed an accounting issue relating to the sale of the stock involved in the instant opinion. Except to the extent they apply to the instant opinion, we do not restate below the findings of fact contained in that Opinion, but we incorporate herein those findings of fact.

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Hospital Corp. of Am. v. Commissioner, 1996 T.C. Memo. 559, 72 T.C.M. 1581, 1996 Tax Ct. Memo LEXIS 578 (tax 1996).

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