Jordanos', Inc. v. Commissioner

1966 T.C. Memo. 218, 25 T.C.M. 1127, 1966 Tax Ct. Memo LEXIS 66
CourtUnited States Tax Court
DecidedSeptember 30, 1966
DocketDocket Nos. 5316-64 - 5319-64.
StatusUnpublished

This text of 1966 T.C. Memo. 218 (Jordanos', Inc. 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
Jordanos', Inc. v. Commissioner, 1966 T.C. Memo. 218, 25 T.C.M. 1127, 1966 Tax Ct. Memo LEXIS 66 (tax 1966).

Opinion

Jordanos', Inc., et al. 1 v. Commissioner.
Jordanos', Inc. v. Commissioner
Docket Nos. 5316-64 - 5319-64.
United States Tax Court
T.C. Memo 1966-218; 1966 Tax Ct. Memo LEXIS 66; 25 T.C.M. (CCH) 1127; T.C.M. (RIA) 66218;
September 30, 1966
Jerry F. Brown, 26 E. Carrillo St., P.O. Box*67 210, Santa Barbara, Calif., for the petitioners. James A. Thomas, for the respondent.

TANNENWALD

Memorandum Findings of Fact and Opinion

TANNENWALD, Judge: Respondent asserted deficiencies against the following petitioners in income tax for the years and in the amounts as follows:

DocketTaxable period
PetitionerNo.endedDeficiency
Jordanos', Inc.5316-64June 30, 1959$4,336.95
June 30, 19603,682.97
June 30, 19619,912.51
Madeline F. Jordano5317-64Dec. 31, 19581,000.83
Dec. 31, 1959933.38
Dec. 31, 1960818.78
Howard H. King and Delfina I. King5318-64Dec. 31, 1958$ 990.14
Dec. 31, 1959986.38
Dec. 31, 1960666.11
Helen M. Jordano5319-64Dec. 31, 1958535.12
Dec. 31, 1959923.09
Dec. 31, 1960335.04

Some issues have been settled by the parties. The remaining issues involve the characterization of payments by the petitioner corporation to the widows of deceased officers:

(1) Did the payments to the individual petitioners (the widows) constitute a deductible business expense to the petitioner corporation under section 162(a) 2 and section 404(a)(5)?

*68 (2) Did the payments in question constitute gifts to the individual petitioners under section 102?

(3) Were the payments in question in reality a dividend under section 316?

Findings of Fact

Some of the facts are stipulated and are found accordingly.

Jordanos', Inc. (herein referred to as the "Corporation") was incorporated on January 28, 1946 under the laws of California. It has its principal place of business at 35 West Canon Perdido Street, Santa Barbara, and it filed its corporation income tax returns for the taxable years involved herein with the district director of internal revenue, Los Angeles, California. It regularly keeps its books and records and reports its income for Federal income tax purposes on an accrual method of accounting.

Helen M. Jordano is an individual residing at Rosario Park, Star Route, Santa Barbara, California. Madeline F. Jordano is an individual residing at 1625 Overlook Lane, Santa Barbara, California. Howard H. King 3 and Delfina I. King are husband and wife residing at 1217-B East Cota Street, Santa Barbara, California. All the individual petitioners filed their respective income tax returns on the cash basis for the taxable years involved*69 herein with the district director of internal revenue at Los Angeles, California.

The Corporation is a final successor to a partnership started by four brothers, Dominic Jordano, Frank James Jordano, Sr., John Jordano, Sr., and Peter Jordano about 40 years ago. Each brother continued active in the business until his death. The business consists of the ownership and operation of a chain of grocery stores and acting as a wholesaler of meat and produce, as well as beer.

Since its inception, the entire business (save for unimportant minority interests) has been owned and controlled by the Jordano families. With the exception of 1,000 shares of non-voting preferred stock, at all relevant times the Jordano brothers, their wives, their children, and trusts for the benefit of the foregoing, have owned practically all of the common stock of the Corporation. 4 Each of the four family groups owned approximately the same number of shares and the widows had substantial interests within their respective family group. 5

*70 Peter Jordano, one of the founding brothers, died in 1931. At his death he was a director and shareholder of a predecessor corporation.

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Bluebook (online)
1966 T.C. Memo. 218, 25 T.C.M. 1127, 1966 Tax Ct. Memo LEXIS 66, Counsel Stack Legal Research, https://law.counselstack.com/opinion/jordanos-inc-v-commissioner-tax-1966.