JP Morgan Chase Bank, N.A. v. Comm'r (In re Estate of Newberger)

2015 T.C. Memo. 246, 110 T.C.M. 615, 2015 Tax Ct. Memo LEXIS 253
CourtUnited States Tax Court
DecidedDecember 22, 2015
DocketDocket No. 26241-13
StatusUnpublished
Cited by2 cases

This text of 2015 T.C. Memo. 246 (JP Morgan Chase Bank, N.A. v. Comm'r (In re Estate of Newberger)) 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
JP Morgan Chase Bank, N.A. v. Comm'r (In re Estate of Newberger), 2015 T.C. Memo. 246, 110 T.C.M. 615, 2015 Tax Ct. Memo LEXIS 253 (tax 2015).

Opinion

ESTATE OF BERNICE NEWBERGER, DECEASED, JP MORGAN CHASE BANK, N.A., SUSAN NEWBERGER, AND NANCY NEWBERGER, COTRUSTEES, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
JP Morgan Chase Bank, N.A. v. Comm'r (In re Estate of Newberger)
Docket No. 26241-13
United States Tax Court
T.C. Memo 2015-246; 2015 Tax Ct. Memo LEXIS 253; 110 T.C.M. (CCH) 615;
December 22, 2015, Filed

Decision will be entered under Rule 155.

*253 John Paul Barrie, for petitioner.
Alexander R. Roche, for respondent.
FOLEY, Judge.

FOLEY
MEMORANDUM FINDINGS OF FACT AND OPINION

FOLEY, Judge: After concessions the issues for decision are the values, pursuant to section 2031, of three pieces of fine artwork.1

*247 FINDINGS OF FACT

Bernice Newberger, a resident of Palm Beach County, Florida, died in Chicago, Illinois, on July 28, 2009 (date of death), and her will was probated in Illinois.2 The Estate of Bernice Newberger (estate), on October 28, 2010, timely filed Form 706, United States Estate (and Generation-Skipping Transfer) Tax Return, on which it reported values relating to Tête de Femme (Jacqueline) by Pablo Picasso (the Picasso), Untitled by Robert Motherwell (the Motherwell), and Elément Bleu XV by Jean Dubuffet (the Dubuffet).

The market for fine artwork declined precipitously*254 during the autumn of 2008. In October of that year 44% (i.e., double the October 2007 rate) of the artwork up for auction failed to reach its minimum or guaranteed price and was returned to the auctioneer or owner. In 2009 Sotheby's and Christie's, the top artwork auction houses, experienced auction revenue decreases of 53% and 46%, respectively. Lower sale prices and a lack of available, high-quality artwork contributed to the decline in auction revenue. The artwork market rebounded in *248 2010, with auction revenue from that year nearly doubling the 2009 total and almost matching the 2007 high point.

The Picasso is a signed and dated 35.5- by 23-inch oil on canvas work created in May 1963. It depicts Pablo Picasso's second wife, Jacqueline, whom he portrayed in over 400 paintings. On February 10, 1981, Ms. Newberger acquired the Picasso for $195,000. It was purchased from the Saidenberg Gallery in New York, New York, and previously owned by Daniel-Henry Kahnweiler of Paris, France, and Mr. and Mrs. Leigh Block of Chicago, Illinois.

In November 2009 Nancy, Ms. Newberger's daughter, sought appraisals of the estate's property. In December 2009 Sotheby's offered to sell the Picasso and guaranteed*255 that it would pay the estate $3 million if the Picasso did not sell at auction. Later that month Sotheby's increased the guarantee to $3.5 million. The estate rejected the offer and on December 18, 2009, agreed to sell the Picasso at Christie's February 2, 2010, London auction. That agreement provided the estate with a guarantee of $4,784,689 and 60% of the hammer price (i.e., the amount of the winning bid) exceeding that amount. Christie's listed the Picasso in its catalog with an expected sale price between $4,784,689 and $6,379,585 and provided the estate with an appraisal report stating the Picasso had a $5 million date of death value. On February 2, 2010, the Picasso sold at Christie's London auction for a *249 total price of $12,927,874 (i.e., an $11,484,000 hammer price and $1,443,874 paid by the buyer to Christie's). The estate reported, on its Form 706, that the Picasso had a $5 million date of death value.

The Motherwell is a signed 66- by 50-inch oil on canvas work created in 1966. On May 27, 1969, Ms. Newberger acquired it for $8,000 from the Marlborough-Gerson Gallery in New York, New York. On November 11, 2010, Robert Motherwell's In Black and White No. 5 (i.e., a 66- by 50-inch*256 oil on canvas work created in 1966) sold for $1,426,500. On the basis of an appraisal from Sotheby's the estate reported, on its Form 706, that the Motherwell had a $450,000 date of death value.

The Dubuffet is a signed and dated 79.25-inch tall, 44-inch wide, and 4-inch deep transfer on polyester created in 1967. On June 10, 1982, Ms. Newberger acquired it for $40,000 from the Galerie Beyeler in Basel, Switzerland. On November 14, 2007, Jean Dubuffet's Elément Bleu XIII, a similarly sized work from the same series, sold for $825,000. On the basis of an appraisal from Sotheby's the estate reported, on its Form 706, that the Dubuffet had a $500,000 date of death value.

Respondent, on August 14, 2013, issued the estate a notice of deficiency and determined that the Picasso, the Motherwell, and the Dubuffet had date of *250 death values of $13 million, $1.5 million, and $750,000, respectively. On November 8, 2013, the estate timely filed a petition with the Court.

OPINION

A tax is imposed on the transfer of a decedent's taxable estate (i.e., the fair market value of all property at the time of the decedent's death minus certain deductions). Seesecs. 2001, 2031(a)

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2015 T.C. Memo. 246, 110 T.C.M. 615, 2015 Tax Ct. Memo LEXIS 253, Counsel Stack Legal Research, https://law.counselstack.com/opinion/jp-morgan-chase-bank-na-v-commr-in-re-estate-of-newberger-tax-2015.