John Allan Love Charitable Foundation v. United States

540 F. Supp. 238, 50 A.F.T.R.2d (RIA) 5026, 1982 U.S. Dist. LEXIS 12247
CourtDistrict Court, E.D. Missouri
DecidedApril 9, 1982
Docket80-1557C(3)
StatusPublished
Cited by3 cases

This text of 540 F. Supp. 238 (John Allan Love Charitable Foundation v. United States) is published on Counsel Stack Legal Research, covering District Court, E.D. Missouri primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
John Allan Love Charitable Foundation v. United States, 540 F. Supp. 238, 50 A.F.T.R.2d (RIA) 5026, 1982 U.S. Dist. LEXIS 12247 (E.D. Mo. 1982).

Opinion

540 F.Supp. 238 (1982)

JOHN ALLAN LOVE CHARITABLE FOUNDATION, Plaintiff,
v.
UNITED STATES of America, Defendant.

No. 80-1557C(3).

United States District Court, E. D. Missouri, E. D.

April 9, 1982.

*239 Thomas E. Tooney, III, Clayton, Mo., for plaintiff.

James Crowe, Asst. U. S. Atty., St. Louis, Mo., G. Scott Nebergal, Trial Atty., Tax Div., Dept. of Justice, Washington, D. C., for defendant.

MEMORANDUM

FILIPPINE, District Judge.

This is an action for refund of income taxes paid by The John Allan Love Personal Trust for the years 1975, 1976, and 1977. The action has been submitted upon stipulated facts. The primary issue is whether or not certain payments made by the Trust to the John Allan Love Charitable Foundation, and to other charities, were made "pursuant to the terms of" the Trust instrument, so as to entitle the Trust to charitable deductions for those payments under I.R.C. § 642(c). The Court having considered the parties' stipulated facts and exhibits, as well as the parties' briefs and the applicable law, hereby enters the following findings of fact and conclusions of law, pursuant to Fed.R.Civ.P. 52.

*240 FINDINGS OF FACT[1]

This is a tax refund suit in which the plaintiff, John Allan Love Charitable Foundation, (hereinafter the Foundation), as a transferee of the assets of John Allan Love Trust No. 100267, seeks to recover $136,674.27 in federal income taxes plus interest according to law, plus costs.

The Foundation is a Missouri non-profit corporation formed under the provisions of Section 355.010 et seq., R.S.Mo. 1979 and it was incorporated on April 6, 1966. The Foundation is exempt from federal income taxation and is treated as a private foundation for federal income tax purposes.

John Allan Love (hereinafter Settlor) created an inter vivos revocable trust on November 17, 1959, entitled "The John Allan Love Personal Trust" (hereinafter the Trust or the Taxpayer Trust). The Taxpayer Trust was funded primarily with securities and according to its terms, the Settlor was to receive all of the Taxpayer Trust income during his lifetime. Section IV of the original trust instrument provided, upon the Settlor's death, for a distribution of the bulk of the principal of the trust to his wife and children, along with specified sums to be distributed to variously named churches and hospitals.

The Settlor subsequently amended the Taxpayer Trust eight different times before his death on March 29, 1974. The Seventh Amendment to the Taxpayer Trust, dated May 9, 1969, provided for the establishment of a separate trust for each of the Settlor's children living at his death with each such trust to be funded by a distribution of principal from the Taxpayer Trust in the amount of $50,000. The Settlor's children were to receive income from these trusts during their lifetimes with the principal to be distributed free of trust, upon each child's death, to the Foundation, a qualifying charitable foundation.

As to the remaining Taxpayer Trust assets, the seventh amendment to the Taxpayer Trust provided that:

[A]ll of the remaining assets of this Trust shall be paid over as soon after my death as reasonably possible to the trustee or trustees under any trust created by my Last Will and Testament, which is therein created exclusively for charitable purposes, and which provides that the ultimate beneficiary shall be THE JOHN ALLAN LOVE CHARITABLE FOUNDATION, a Missouri charitable corporation.

This provision was not altered by the eighth amendment to the Taxpayer Trust and therefore was operative at the time of the Settlor's death.

John Allan Love also created a separate inter vivos revocable trust (hereinafter MTC Trust), on June 26, 1963, with the Mercantile Trust Company National Association as Trustee.

The Settlor subsequently amended this MTC trust seven different times before his death on March 29, 1974. By the Sixth Amendment to this MTC Trust, the Settlor provided that the assets of this MTC Trust upon his death were to pass "to the Trustee or Trustees under any trust created by his Last Will and Testament, which is therein created exclusively for charitable purposes, and which provides that the ultimate beneficiary shall be the John Allan Love Charitable Foundation, a Missouri charitable corporation."

By the Seventh Amendment to this MTC Trust, the Settlor provided that the assets of this trust upon his death were to pass, free of trust, to the Foundation.

The Settlor died testate having executed a Will (hereinafter the Will) dated July 13, 1970, a first codicil dated December 3, 1970, and a second codicil dated February 7, 1972.

Under Article VI of the Will, the residue of Settlor's estate was to be held in trust by St. Louis County Bank with 25 percent of the annual net income to be paid to the Foundation and the balance of the net income to be accumulated until termination of the trust upon the earliest of 100 years after Settlor's death, 21 years after the *241 death of the last living descendant, or the value of the assets of the trust exceeding $50,000.00,[2] at which time the principal and all accumulated income would be distributed outright to the Foundation.

Settlor's second codicil, dated February 7, 1972, and operative at the time of his death, revised Article VI of the Will to provide that the residue of his estate would pass outright to the Foundation.

On October 21, 1974, the Settlor's five children and representatives for two children of a deceased child filed suit in the Circuit Court of the City of St. Louis challenging the validity of the Settlor's Will and the two codicils thereto. By means of an Amended Petition, the plaintiffs also sought to set aside the Taxpayer Trust and the eight amendments thereto and the MTC Trust and the seven amendments thereto.

On or about December 1, 1976, the Will contest suit was settled and the Foundation agreed to pay, or cause to be paid, a total of $800,000 to be divided among the plaintiffs. Of the $800,000 settlement amount, $520,000 was paid by the Foundation and $280,000 was paid by the Taxpayer Trust.

As a result of the Will contest suit, the trustee of the Taxpayer Trust did not fund the five separate trusts of $50,000 each for the settlor's five surviving children nor were annual distributions of income made to the children.[3]

As of the date of death of the Settlor, March 29, 1974, the value of the assets of the Taxpayer Trust was $2,070,381.07 with $55,000.00 of the value consisting of real estate, the value of the assets of the MTC Trust was $538,765.51, and the value of all assets of the Settlor was $2,629,401.08. The records of the trustee show income of and distributions made by the Taxpayer Trust after March 29, 1974, the date of death of the Settlor, as follows: Income of Taxpayer Trust

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Bluebook (online)
540 F. Supp. 238, 50 A.F.T.R.2d (RIA) 5026, 1982 U.S. Dist. LEXIS 12247, Counsel Stack Legal Research, https://law.counselstack.com/opinion/john-allan-love-charitable-foundation-v-united-states-moed-1982.