Jones v. Commissioner

1972 T.C. Memo. 145, 31 T.C.M. 724, 1972 Tax Ct. Memo LEXIS 112
CourtUnited States Tax Court
DecidedJuly 3, 1972
DocketDocket Nos. 2349-69, 2350-69, 2351-69, 2352-69.
StatusUnpublished

This text of 1972 T.C. Memo. 145 (Jones v. Commissioner) is published on Counsel Stack Legal Research, covering United States Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Jones v. Commissioner, 1972 T.C. Memo. 145, 31 T.C.M. 724, 1972 Tax Ct. Memo LEXIS 112 (tax 1972).

Opinion

H. Alvan Jones and Helen P. Jones, 1 Petitioners v. Commissioner.
Jones v. Commissioner
Docket Nos. 2349-69, 2350-69, 2351-69, 2352-69.
United States Tax Court
T.C. Memo 1972-145; 1972 Tax Ct. Memo LEXIS 112; 31 T.C.M. (CCH) 724; T.C.M. (RIA) 72145;
July 3, 1972
Charles C.W. Atwater, 402 One N. Charles St., Baltimore, Md., for the petitioners. Charles F.T. Carroll, for the respondent.

ATKINS

Memorandum Findings of Fact and Opinion

ATKINS, Judge: In these consolidated cases respondent determined deficiencies in petitioners' income taxes as follows:

Docket
No.YearDeficiency
2349-69 H. Alvan Jones and1964$ 6,411.67
Helen P. Jones196516,275.52
19664,501.08
2350-69 Raymond E. Lenhard and Mary N. Len- hard19659,913.64
2351-69 William P. Horton and Eleanor B. Horton196513,041.53
2352-69 John J. Fahey and Betty H. Fahey196513,429.62

Some issues in Docekt No. 2349-69 having been settled by stipulation, the issues remaining for decision in each*114 of the cases are whether the distribution made by Eleven-O-S/even St. Paul Street, Inc., of $164,000 pro rata to the petitioner-husbands on July 19, 1965, constitutes a dividend taxable at ordinary income rates, and, if so, whether the earnings and profits of Eleven-O-Seven St. Paul Street, Inc. which were available for distribution of taxable dividends during its fiscal year ended June 30, 1966, should be reduced by a claimed casualty loss.

Findings of Fact

Some of the facts have been stipulated and are so found. The stipulation of facts and exhibits attached thereto are incorporated herein by this reference.

The petitioners, H. Alvan Jones and Helen P. Jones, are individuals, husband and wife, who resided at Bennett Point Road, Queenstown, Maryland, 21658, at the time of the filing of their petition herein. The petitioners, Raymond E. Lenhard and Mary N. Lenhard, are individuals, husband and wife, who resided at 14 West Cold Spring Lane, baltimore, Maryland, 21210, at the time of the filing of their petition herein. The petitioners, William P. Horton and Eleanor B. Horton, are individuals, husband and wife, who resided at 115 Witherspoon Road, Baltimore, Maryland, 21212, at*115 the time of the filing of their petition herein. The petitioners, John J. Fahey and Betty H. Fahey, are individuals, husband and wife, who resided at 5306 Purlington Way, Baltimore, Maryland, 21212, at the time of the filing of their petition herein. All the petitioners filed their joint Federal income tax returns for the years in issue with the district director of internal revenue, Baltimore, Maryland, on a cash receipts and disbursements basis.

The petitioners Helen P. Jones, Mary N. Lenhard, Eleanor B. Horton, and Betty H. f/ahey are petitioners herein solely because of having filed joint returns with their husbands. For convenience the husbands only will be hereinafter referred to as the petitioners.

The petitioners are medical doctors conducting, as partners, the practice of orthopedic surgery.

On June 19, 1962, a corporation named Eleven-O-Seven St. Paul Street, Inc., (hereinafter at times referred to as "the corporation") was formed by the petitioners.

On or about June 30, 1962, petitioners Horton and Fahey each acquired 1,000 shares of stock of the corporation (a one-fourth interest to each) for the payment by each of them to the corporation of $26,348.

On or about*116 June 30, 1962, petitioners Jones and Lenhard each acquired from the corporation 1,000 shares of its stock and $14,433.29 in return for the conveyance by them to the corporation of certain real property known as 1105-1107 St. Paul Street, Baltimore, Maryland, a lot improved by a four-story building. The interests in the land and building contributed by Jones and Lenhard were each recorded on the books of the corporation at a value of $14,433.29. 726

These transactions were treated by the corporation as follows:

Contribution of cash* $52,692.00
Contribution of interest in land and building28,866.58
Capital Stock$70,000.00
Paid in surplus11,558.58

Petitioners Jones and Lenhard each took as his basis in the stock the amount of $14,433.29. Petitioners Fahey and Horton each took as his basis in the stock the amount of his cash contribution to the corporation or $26,348.

The building transferred to the corporation, together with certain medical equipment and furniture and fixtures, were leased to the*117

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Related

Commissioner of Internal Revenue v. Harwick
184 F.2d 835 (Fifth Circuit, 1950)
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393 F.2d 983 (Court of Claims, 1968)
Gale v. Commissioner
41 T.C. 269 (U.S. Tax Court, 1963)

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Bluebook (online)
1972 T.C. Memo. 145, 31 T.C.M. 724, 1972 Tax Ct. Memo LEXIS 112, Counsel Stack Legal Research, https://law.counselstack.com/opinion/jones-v-commissioner-tax-1972.