Howard v. Commissioner

1977 T.C. Memo. 287, 36 T.C.M. 1140, 1977 Tax Ct. Memo LEXIS 153
United States Tax Court·Decided August 24, 1977·No. Docket Nos. 265-76, 279-76.·Unpublished

Opinion

JOHN B. HOWARD and LINDA HOWARD, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
DONALD J. TRIOLO and DONNA TRIOLO, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Howard v. Commissioner
Docket Nos. 265-76, 279-76.
United States Tax Court
T.C. Memo 1977-287; 1977 Tax Ct. Memo LEXIS 153; 36 T.C.M. (CCH) 1140; T.C.M. (RIA) 770287;
August 24, 1977, Filed
Alexander F. Eagle, III, for the petitioners.
Lawrence G. Becker and Robert E. Casey, for the respondent.$

FORRESTER

MEMORANDUM FINDINGS OF FACT AND OPINION

FORRESTER, Judge: In these consolidated cases, respondent has determined deficiencies in petitioners' Federal income tax for the taxable year 1972 as follows:

Docket No.PetitionersDeficiency
265-76John B. and Linda Howard$4,983
279-76Donald J. and Donna Triolo8,256

Concessions having been made, the following issues remain for our decision: 1 (1) Whether, pursuant to section 163(a), 2 a partnership, which uses the cash method of accounting, "paid" $43,862.50 to its lender in 1972, when such amount was withheld from the proceeds*154 of a construction loan made to the partnership so that such amount, if withheld for interest charges, is properly allowable as an interest deduction in computing petitioners' distributive share of the partnership income for 1972; and (2) If such amount were paid, whether the initial service charge for which a portion of it was withheld, represents "interest" within the meaning of section 163.

FINDINGS OF FACT

All of the facts have been stipulated and are so found.

Those necessary to an understanding of the case are as follows.

Petitioners John B. and Linda Howard, husband and wife, resided in Hollister, California, at the time they filed the petition herein. They filed a joint Federal income tax return for 1972 with the Internal Revenue Service Center in Fresno, California.

Petitioners Donald J. and Donna Triolo, husband and wife, resided*155 in Gilroy, California, at the time they filed the petition herein. They filed a joint Federal income tax return for 1972 with the Internal Revenue Service Center in Fresno, California.

Howard Manor Apartments (hereinafter the partnership) is a limited partnership which, during the period in question, was composed of petitioners John B. Howard and Donald J. Triolo (hereinafter petitioners), as general partners, and Cullumber Construction Co., Inc. (hereinafter Cullumber), as the limited partner. The partnership and both petitioners maintained their books and records according to the cash receipts and disbursements method of accounting.

The stated purpose of the partnership was to engage in all business necessary and related to the construction, ownership, and management of an apartment complex in Hollister, California. Petitioners contributed certain real property situated in Hollister, California, and Cullumber contracted with the partnership to construct an apartment complex on such property.

To finance the construction of the apartment complex, the partnership entered into a building loan agreement with Kassler & Co. (hereinafter Kassler) on December 1, 1972, for a loan*156 of $605,000. Such agreement contained the following provisions:

(4)(a) the Borrower shall make monthly applications on FHA Form No. 2403 for advances of mortgage proceeds from the Lender. Applications for advances with respect to construction items shall be for amounts equal to (i) the total value of classes of the work acceptably completed; plus (ii) the value of materials and equipment not incorporated in the work, but delivered to and suitably stored at the site; less (iii) 10 percent (holdback) and less prior advances. The "values" of both (i) and (ii) shall be computed in accordance with the amounts assigned to classes of the work in the "Contractor's and/or Mortgagor's Cost Breakdown", attached hereto as Exhibit "B", and made a part hereof. Each application shall be filed at least 5 days before the date the advance is desired, and the Borrower shall be entitled thereon only to such amount as may be approved by the Lender and the Commissioner.

* * *

(d) The Borrower covenants that it will hold in trust each advance hereunder for application to the items for which each advance was requested and approved.

(5) The Lender shall advance to the Borrower out*157 of * * * the proceeds of the loan, amounts for application to the charges or items enumerated below, but only to the extent that such charges have accrued, or that the Borrower is otherwise entitled to payment on account of such items.

(a) Interest during construction…. $10,587.50

(f) Initial service charge… $12,100.00

Concurrently with the execution of the building loan agreement on December 1, 1972, the partnership also executed a deed of trust note (hereinafter the note) made payable to Kassler in the principal sum of $605,000 to bear interest at the rate of seven percent per annum.

According to the terms of the note, the principal and interest were to be paid in monthly installments as follows:

Interest payable monthly on the first day of January, 1973, and on the first day of each month thereafter until the Note is paid. On the first day of October, 1973 an installment of interest and principal shall be paid in the sum of Three thousand seven hundred fifty nine and 66/100 Dollars ($3,759.66) each, such payments to continue monthly thereafter on the first day of each succeeding month until the entire indebtedness has been paid.

Free access — add to your briefcase to read the full text and ask questions with AI

Howard v. Commissioner, 1977 T.C. Memo. 287, 36 T.C.M. 1140, 1977 Tax Ct. Memo LEXIS 153 (tax 1977).

1977 T.C. Memo. 287 (Howard v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Cleaver v. Commissioner of Internal Revenue
158 F.2d 342 (Seventh Circuit, 1946)
Nat Harrison Assoc., Inc. v. Commissioner
42 T.C. 601 (U.S. Tax Court, 1964)
Cleaver v. Commissioner
6 T.C. 452 (U.S. Tax Court, 1946)
Burck v. Commissioner
63 T.C. 556 (U.S. Tax Court, 1975)
Rubnitz v. Commissioner
67 T.C. 621 (U.S. Tax Court, 1977)