Joseph v. Commissioner

1969 T.C. Memo. 106, 28 T.C.M. 568, 1969 Tax Ct. Memo LEXIS 189
United States Tax Court·Decided May 21, 1969·No. Docket No. 6433-66.·Unpublished

Opinion

Milton K. Joseph and Lillian T. Joseph v. Commissioner.
Joseph v. Commissioner
Docket No. 6433-66.
United States Tax Court
T.C. Memo 1969-106; 1969 Tax Ct. Memo LEXIS 189; 28 T.C.M. (CCH) 568; T.C.M. (RIA) 69106;
May 21, 1969, Filed
Milton K. Joseph, pro se, 120 S. LaSalle St., Chicago, Ill. Lewis M. Porter, Jr., for the respondent.

WITHEY

Memorandum Findings of Fact and Opinion

WITHEY, Judge: A deficiency has been determined by the Commissioner in the income tax of petitioners for the taxable year 1963 in the amount of $22,936.78.

The sole issue to be decided is whether respondent has erred in disallowing a loss deduction*190 taken by petitioners in their income tax return for 1963 under section 165 of the Internal Revenue Code of 1954.

Findings of Fact

All of the stipulated facts are found accordingly.

Petitioners Milton K. Joseph and Lillian T. Joseph are husband and wife, residing during the taxable year in question and also at the time their petition was filed at Glencoe, Illinois. Their joint Federal income tax return for the calendar year 1963 was prepared and filed on the cash receipts and disbursements method with the district director of internal revenue at Chicago, Illinois.

On February 1, 1962, Milton K. Joseph, hereinafter referred to as petitioner, Lawrence H. Metcoff, and William S. Metcoff acquired vacant land located at the northwest 569 corner of River Road and Balmoral Avenue, Rosemont, Illinois. On January 11, 1962, title to the land was conveyed to the Harris Trust and Savings Bank as trustee under trust No. 30571. The beneficial interest under the trust consisted of a power of direction to deal with the title to such property and to manage and control the property as provided in the trust agreement. The beneficiaries of the trust were the above-named*191 purchasers, each of whom owned a one-third interest. Petitioner's investment in the above property amounted to $75,407.41.

On January 19, 1962, Airport Recreation Center, Inc., was formed by petitioner and Lawrence and William Metcoff.

On April 2, 1962, a construction contract was entered into between James Burton Company as contractor, and Airport Recreation Center, Inc., as agent, for the beneficiaries of Harris Trust and Savings Bank trust No. 30571 as owners to improve the property held in that trust. The contract called for progress payments by the three trust beneficiaries as construction of such improvements progressed. Construction begun prior to June 29, 1962.

On June 29, 1962, an agreement was made by and between James Burton Company as contractor, the trust beneficiaries as owners, and Airport Recreation Center, Inc., as agent, wherein the contractor agreed to forbear demanding progress payments due until the close of business August 31, 1962, in exchange for an assignment of the beneficial interest in the land trust to secure such unpaid progress payments. The trust beneficial interest in the land trust to secure such unpaid progress payments. The trust beneficiaries*192 as owners also personally guaranteed to the contractor payment of all amounts due under the construction contract on or before September 1, 1962.

On June 29, 1962, pursuant to the forbearance agreement, petitioner and the Metcoffs assigned all of their rights in the beneficial interest in trust No. 30571 to the contractor.

On September 5, 1962, the contractor requested partial payment for work done through September 1, 1962, on such improvements in the amount of $690,660.

On September 10, 1962, the contractor notified petitioner and the Metcoffs as beneficiaries and Harris Trust and Savings Bank as trustee (sometimes hereinafter referred to as the owners), that pursuant to the forbearance agreement dated June 29, 1962, they were in default of the payment required to be made on or before September 1, 1962, and made demand upon the owners for the full amount due. No part of any payment required to be made pursuant to the provisions of the forbearance agreement was ever tendered by the owners.

Pursuant to the provisions of the forbearance agreement, the contractor caused the beneficial interest in the Harris Trust and Savings Bank trust No. 30571 to be sold at a public sale held*193 on January 30, 1964. The contractor was the only bidder, its bid price being $25,000, for which price the beneficial interest was struck off and sold to it.

On January 8, 1963, a mechanic's lien foreclosure suit entitled, "Riemer Bros., Inc., plaintiff, v. Harris Trust and Savings Bank, as trustee under Trust No. 30571, defendant," No. 63C 376, was filed in the Circuit Court of Cook County, Chancery Division. The complaint filed by plaintiff Riemer Bros., Inc., in the foreclosure action sought to establish and assert plaintiff's claim for mechanic's lien and to enforce such lien against the property held in Harris Trust and Savings Bank trust No. 30571. Subsequent to the filing of this suit, the prime contractor, James Burton Company, various subcontractors and contractors filed their answers and intervening petitions or counterclaims in the mechanic's lien foreclosure action. The following is a list of successful claimants in the mechanic's lien foreclosure action indicating whether they are contractor or subcontractor and indicating the date of completion for furnishing labor and/or materials, the date notice of lien was filed on the owners, the date claim for mechanic's lien was*194 filed, the date suit to enforce the mechanic's lien was filed, the amount of claim allowed, the date from which interest at the rate of 5 percent accrued, the amount due in the decree entered November 6, 1967, and the amount due on the date of sale, January 15, 1968: 570

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Joseph v. Commissioner, 1969 T.C. Memo. 106, 28 T.C.M. 568, 1969 Tax Ct. Memo LEXIS 189 (tax 1969).

1969 T.C. Memo. 106 (Joseph v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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