J. E. & L. E. Mabee Foundation, Inc. v. United States

389 F. Supp. 673, 50 Oil & Gas Rep. 263, 35 A.F.T.R.2d (RIA) 888, 1975 U.S. Dist. LEXIS 14065
CourtDistrict Court, N.D. Oklahoma
DecidedJanuary 31, 1975
Docket74-C-135
StatusPublished
Cited by3 cases

This text of 389 F. Supp. 673 (J. E. & L. E. Mabee Foundation, Inc. v. United States) is published on Counsel Stack Legal Research, covering District Court, N.D. Oklahoma primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
J. E. & L. E. Mabee Foundation, Inc. v. United States, 389 F. Supp. 673, 50 Oil & Gas Rep. 263, 35 A.F.T.R.2d (RIA) 888, 1975 U.S. Dist. LEXIS 14065 (N.D. Okla. 1975).

Opinion

MEMORANDUM OPINION

BOHANON, District Judge.

This case came on for trial before the Gourt sitting without a jury on December 19, 1974. After considering the stipulated facts, the testimony of the witness, the exhibits admitted into evidence, and the briefs of the parties, the Court finds and concludes as follows:

Plaintiff, Mabee Foundation, Inc. hereinafter referred to as Foundation), was organized in 1948 as a nonprofit Delaware corporation, qualified to do business in Oklahoma, with its principal office in Tulsa, Oklahoma. Foundation maintains its books and records on a “cash” basis of accounting, and for tax purposes, has a fiscal year ending on August 31. Foundation has been declared an organization exempt from tax under the provisions of Section 501(c) (3) of the Internal Revenue Code of 1954 (26 U.S.C.).

Mabee Petroleum Corporation (hereinafter referred to as Petroleum) is a Delaware corporation qualified to do business in Oklahoma and Texas, with offices in Tulsa, Oklahoma, and Midland, Texas. All of the issued and outstanding common stock of Petroleum has been owned by Mabee Foundation since late .1948, and it has been operated since that time as a wholly owned subsidiary of Foundation.

Prior to 1947, J. E. Mabee and his wife were substantial contributors to various charitable organizations. These two individuals were also the only stockholders of Mabee Oil & Gas Company. In that year, Mr. Mabee became dissatisfied with the method in which his charitable contributions were being funded, and asked his advisors to develop a more systematic and organized plan. To achieve this goal, Foundation was created, as well as two new corporations, Petroleum and Mabee Royalties, Inc. (hereafter Royalties). Mr. Mabee chose the oil and gas properties he wished to use to fund his charitable activities, and caused Mabee Oil & Gas Company to contribute these properties to Petroleum. The remaining properties of Mabee Oil & Gas Company were transferred to Royalties, and the Mabee Oil & Gas Company was liquidated. A detailed description of the facts surrounding the creation of Foundation, Petroleum, and Royalties is set forth in the decision of Mabee Petroleum Corp. v. United States, 203 F.2d 872 (C.A. 5, 1953) and need not be repeated here.

Since its creation, Petroleum has been engaged in the development, ownership *675 and production of oil and gas, largely through the ownership of working interests in oil and gas leases. Beginning October 1, 1951, and ending December 31, 1958, Petroleum declared, at various times, dividends in kind to Foundation, its sole stockholder, in the form of overriding royalties on various oil and gas leases owned and operated by Petroleum in Texas. Generally, these dividends in kind left Petroleum owning approximately 20 to 30 percent of the oil and gas leasehold estate mineral interests with Foundation owning from 70 to 80 percent of the oil and gas leasehold estate mineral interests. Petroleum as the working interest owner bore all of the costs associated with the operation of these leases.

Prior to the death of Mr. Mabee in 1961, Foundation received the bulk of its income from the overriding royalties on the leases in which Petroleum held a small working interest. In turn, this substantial amount of income was disbursed by the Foundation for charitable purposes. However, upon the deaths of Mr. Mabee in 1961, and his widow in 1965, Foundation acquired the bulk of the assets of their estates, which included the stock in Royalties and other assets, such as stocks, bonds, notes and rental properties. Foundation caused the corporations so acquired to be liquidated in 1969 and 1970, and the assets of these corporations were transferred directly to Foundation. Some of Royalties’ assets had included working interests in oil and gas properties. Upon receipt of these working interests, Foundation immediately transferred these working interests directly to Petroleum as an additional contribution of capital. Thus, after the liquidation of these corporations, the asset structure of Foundation was substantially changed, since prior to that time the assets consisted mainly of the overriding royalty interests acquired from Petroleum.

Since the death of Mrs. Mabee in 1965, the board of directors of Petroleum and the trustees of Foundation have been the same five loyal individuals, i. e., Guy Mabee (nephew of J. E. Mabee), Joe Mabee (son of Guy Mabee), John Cox (nephew of L. E. Mabee), C. T. Forrest (long-time employee of the Ma-bees), and Donald P. Moyers (attorney for the Mabees).

For tax purposes, Petroleum operated at a loss for the fiscal year ending September 30, 1971. It also operated at a loss for tax purposes in each of its five preceding fiscal years.

During the fiscal year ending August 31, 1971, Foundation received gross income in the amount of $2,867,119.90 from all its oil and gas royalties. Of this total, $1,109,963.68 was received from the overriding royalties that had been acquired by Foundation as dividends in kind from Petroleum.

For the fiscal year ending August 31, 1971, Foundation filed its Return of Organization Exempt from Income Tax, Form 990, and reported that it owed no income tax for that fiscal year. This return was audited by the Internal Revenue Service, and it was determined that the overriding royalty income ($1,-109,963.68) received by Foundation from the overriding royalties acquired from Petroleum constituted unrelated business taxable income, as that term is defined in the provisions of Section 512(b) (15) of the Internal Revenue Code of 1954. After allowing for the deduction of certain expenses provided for in the applicable statute, the Internal Revenue Service determined that Foundation had realized $730,913.31 in unrelated business taxable income for the fiscal year ending August 31, 1971, and, accordingly, assessed additional income tax in the amount of $343,858.38, plus interest of $36,105.13.

This total amount was paid by Foundation. Thereafter, the Foundation filed a timely claim for refund of this tax. This claim for refund was disallowed and this action was then timely instituted.

This Court has jurisdiction over the subject matter of this litigation pursuant to the provisions of 28 U.S.C. § *676 1346(a)(1). Venue is proper pursuant to the provisions of 28 U.S.C. § 1402(a)(2).

The Government contends that the $1,109,963.68 received by Foundation from the overriding royalty interests acquired from Petroleum is subject to the unrelated business income tax imposed upon income received by a tax exempt organization from royalties derived from another organization over which the exempt organization has control, pursuant to the provisions of Section 512(b) (15) of the Internal Revenue Code. Foundation contends that the income received from the overriding royalties in question was “derived directly” from property interests owned by it, and, accordingly, was not “derived” from Petroleum. Thus, Foundation contends the income is exempt from taxation under the provisions of Section 512(b)(2) of the Code. For the reasons stated hereinafter, the Court finds that the income in question is subject to taxation as maintained by the Government.

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389 F. Supp. 673, 50 Oil & Gas Rep. 263, 35 A.F.T.R.2d (RIA) 888, 1975 U.S. Dist. LEXIS 14065, Counsel Stack Legal Research, https://law.counselstack.com/opinion/j-e-l-e-mabee-foundation-inc-v-united-states-oknd-1975.