Kamler v. Commissioner

1966 T.C. Memo. 46, 25 T.C.M. 260, 1966 Tax Ct. Memo LEXIS 235
CourtUnited States Tax Court
DecidedMarch 3, 1966
DocketDocket Nos. 1463-64, 1464-64, 1506-64.
StatusUnpublished

This text of 1966 T.C. Memo. 46 (Kamler 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
Kamler v. Commissioner, 1966 T.C. Memo. 46, 25 T.C.M. 260, 1966 Tax Ct. Memo LEXIS 235 (tax 1966).

Opinion

Lillian Kamler, et al. 1 v. Commissioner.
Kamler v. Commissioner
Docket Nos. 1463-64, 1464-64, 1506-64.
United States Tax Court
T.C. Memo 1966-46; 1966 Tax Ct. Memo LEXIS 235; 25 T.C.M. (CCH) 260; T.C.M. (RIA) 66046;
March 3, 1966

*235 Held, petitioners' losses resulting from satisfaction of their obligations as guarantors of the indebtedness of Wobbers, Inc., a corporation in which they were shareholders, to the Bank of America are nonbusiness bad debt losses deductible only under section 166(d) of the Internal Revenue Code of 1954 as short-term capital losses. Putnam v. Commissioner, 352 U.S. 82.

Gino P. Cecchi, 665 Van Ness Ave., San Francisco, Calif., for the petitioners. James E. Merritt, for the respondent.

ARUNDELL

Memorandum Opinion

ARUNDELL, Judge: *236 Respondent determined deficiencies in income tax for the calendar year 1961 in amounts as follows:

Docket
PetitionerNo.Deficiency
Lillian Kamler1463-64$704.00
Milton Kamler1464-64704.00
Juanita Petrucci1506-64635.13
*237 Each petitioner assigned error as follows:

(a) In determining the taxable income of the petitioner for the year 1961, the Commissioner erroneously disallowed a deduction of FIVE THOUSAND DOLLARS ($5,000.00) representing a loss due to the payment by the petitioner of a debt of a defunct corporation which had been guaranteed by the petitioner. Commissioner contends that this loss is a non-business bad debt to be treated as a short term capital loss.

All of the facts have been stipulated and are found accordingly.

Petitioners Milton Kamler and Lillian Kamler are husband and wife, each of whom filed a separate individual Federal income tax return for the year 1961 with the district director of internal revenue at San Francisco, California.

Petitioner Juanita Petrucci is the wife of Ernest J. Petrucci. She filed a separate individual Federal income tax return for the year 1961 with the district director of internal revenue at San Francisco, California.

Prior to August 30, 1957, Frederick J. Molteni, Milton Kamler, Ernest J. Petrucci and Edward F. Nightingate operated a stationery and printing business as a partnership under the firm name of Wobbers. On August 30, 1957, that business*238 was incorporated under the laws of the State of California. The name of the corporation was Wobbers, Inc. The corporation had an authorized capital stock of 4,500 shares of Class A common (voting) and 50,000 shares of Class B common (non-voting). The par value of both classes was $10 per share. Of the authorized stock the corporation issued 3,000 Class A shares and 6,342 Class B shares to the following individuals for consideration as follows:

IndividualClass AClass BConsideration
Frederick J. Molteni6002,605Partnership assets$32,050
Milton Kamler6001,965Partnership assets25,650
Ernest J. Petrucci6001,544Partnership assets21,440
Edward F. Nightingale60078Partnership assets6,780
Marvin Hilliker600150Cash7,500
Totals3,0006,342$93,420

Milton Kamler was first vice president of Wobbers, Inc. The stock issued to him was held as the community property of Milton Kamler and his wife, Lillian Kamler.

Ernest J. Petrucci was treasurer of Wobbers, Inc. The stock issued to him was held as the community property of Ernest Petrucci and his wife, Juanita Petrucci.

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Related

Spring City Foundry Co. v. Commissioner
292 U.S. 182 (Supreme Court, 1934)
Putnam v. Commissioner
352 U.S. 82 (Supreme Court, 1956)
Commissioner of Internal Revenue v. D. J. Condit
333 F.2d 585 (Tenth Circuit, 1964)
Condit v. Commissioner
40 T.C. 24 (U.S. Tax Court, 1963)

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1966 T.C. Memo. 46, 25 T.C.M. 260, 1966 Tax Ct. Memo LEXIS 235, Counsel Stack Legal Research, https://law.counselstack.com/opinion/kamler-v-commissioner-tax-1966.