Johnson v. Commissioner

77 T.C. 837, 1981 U.S. Tax Ct. LEXIS 46
United States Tax Court·Decided October 13, 1981·No. Docket No. 15104-80·Published·Cited by 2 cases

Opinion

Goffe, Judge-.

The Commissioner determined the following deficiencies in petitioners’ Federal income tax:

Taxable year Deficiency
1975 ....$10,981.17
1976 . 22,856.96
1977 . 15,896.84

In the statutory notice of deficiency, the Commissioner determined several adjustments to petitioners’ liability but the petition contained only an allegation of error as to one adjustment determined for each of the 3 years; therefore, only that adjustment is before the Court. The sole issue to be decided is whether petitioners are taxable in full upon the undistributed taxable income and cash distributions from a "subchapter S corporation” which they controlled, or whether undistributed taxable income and cash distributions in a lesser amount are allocable to them as income under the provisions of section 1.1375-3(d), Income Tax Regs.

FINDINGS OF FACT

Some of the facts were stipulated. The stipulation of facts and attached exhibits are incorporated by this reference.

Petitioners are husband and wife and they resided in Columbus, Ind., when they filed their petition in this case. They filed joint Federal income tax returns for the taxable years involved with the Office of the Internal Revenue Service at Memphis, Tenn.

The Johnson Oil Co., Inc. (hereinafter referred to as Johnson Oil or the corporation), is a corporation organized and existing under the laws of the State of Indiana. On November 25, 1969, it elected to be taxed as a small business corporation under the provisions of subchapter S of the Internal Revenue Code of 1954, as amended. That election continued in effect to the date of filing the petition in this case. The corporation adopted a fiscal year and filed its Federal income tax returns on- a taxable year ending October 31.

For all relevant periods of time, petitioners had two children, Richard L. Johnson, Jr., and Jennifer A. Johnson.

The issued and outstanding capital stock of Johnson Oil, for all relevant periods of time, was owned in the following proportions:

Shareholder Percentage
Richard L. Johnson . 38.5 percent
Ruth W. Johnson . 36.5 percent
Richard L. Johnson, Jr . 12.5 percent
Jennifer A. Johnson . 12.5 percent
100.0 percent

The tables on pages 840-842 reflect the distributions of cash by Johnson Oil to its shareholders for the taxable years of the corporation.

On their joint Federal income tax returns for the taxable (calendar) years involved, petitioners reported as their share of cash distributions and undistributed taxable income of Johnson Oil the following amounts:

Taxable year Amount
1975 . $117,101.41
1976 . 140,289.12
1977 . 147,999.22

In his statutory notice of deficiency mailed to petitioners, the Commissioner of Internal Revenue determined that petitioners should have reported on their income tax returns for the taxable (calendar) years involved as their share of cash distributions and undistributed taxable income of Johnson Oil the following amounts:

Taxable year Amount
1975 . $133,775.29
1976 . 174,638.87
1977 .... 169,043.21

OPINION

Petitioners and their children owned all of the capital stock of Johnson Oil, a "subchapter S corporation.” As detailed in our findings of fact the corporation, controlled by petitioners, distributed cash to the shareholders disproportionately to their stock ownership. Petitioners, relying upon section 1.1375-3(d), Income Tax Regs., allocated some of the cash distributed to themselves to the other shareholders, their children, and reported on their income tax returns amounts less than the sum of their actual cash distributions and their share of undistributed taxable income.

YEAR ENDED OCT. 31, 1975
Cash Distributions
Richard L. Ruth W. Richard L. Jennifer A. Month Totals Johnson, Sr. Johnson Johnson, Jr. Johnson
11/74 $127.94 $127.94 0 0 0
12/74 355.12 355.12 0 0 0
1/75 13,113.13 11,690.63 0_ $711.25 $711.25
Subtotals 13,596.19 12,173.69 0 711.25 711.25
2/75 309.69 309.69 0 0 0
3/75 73.43 73.43 0 0 0
4/75 121,735.12 100,848.04 0 10,443.54 10,443.54
5/75 145.50 145.50 0 0 0
6/75 25,115.00 22,000.00 0 1,557.50 1,557.50
7/75 0 0 0 0 0
8/75 10,028.00 10,028.00 0 0 0
9/75 25,637.30 22,522.30 0 1,557.50 1,557.50
10/75 80.50 80.50 0 0 0
196,720.73 168,181.15 0 14,269.79 14,269.79
Less:
Prior year’s earnings (13,596.19) (12,173.69) (0) (711.25) (711.25)
183,124.54 156,007.46 0 13,558.54 13,558.54
Less:
Return of capital (26,096.53) (22,232.17) (0) (1,932.18) (1,932.18)
1975 Out of current earnings (0.8574929) 157,028.01 133,775.29 _0_ 11,626.36 11,626.36
YEAR ENDED OCT. 31, 1976
Cash Distributions
Month Totals Richard L. Johnson, Sr. Ruth W. Johnson Richard L. Johnson, Jr. Jennifer A. Johnson
11/75 $25.08 $25.08 0 0 0
12/75 395.20 395.20 0 0 0
1/76 2,728.47 1,213.47 0 $757.50 $757.50
Subtotals 3,148.75 1,633.75 0 757.50 757.50
2/76 181.71 181.71 0 0 0
3/76 72.14 72.14 0 0 0
4/76 65,079.21 31,356.18 $31,356.18 1,191.22 1,175.63
5/76 22,006.83 11,003.42 11,003.41 0 0
6/76 21,063.70 9,181.85 9,181.85 1,350.00 1,350.00

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Johnson v. Commissioner
77 T.C. 837 (U.S. Tax Court, 1981)