Kenco Restaurants, Inc. (98-2416) K-K Restaurants, Inc. (98-2417) Tiffin Avenue Realty Company, Inc.(98-2418) Bryan Realty, Inc. (98-2420) v. Commissioner of Internal Revenue

206 F.3d 588, 85 A.F.T.R.2d (RIA) 861, 2000 U.S. App. LEXIS 2079
CourtCourt of Appeals for the Sixth Circuit
DecidedFebruary 16, 2000
Docket98-2416
StatusPublished

This text of 206 F.3d 588 (Kenco Restaurants, Inc. (98-2416) K-K Restaurants, Inc. (98-2417) Tiffin Avenue Realty Company, Inc.(98-2418) Bryan Realty, Inc. (98-2420) v. Commissioner of Internal Revenue) is published on Counsel Stack Legal Research, covering Court of Appeals for the Sixth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Kenco Restaurants, Inc. (98-2416) K-K Restaurants, Inc. (98-2417) Tiffin Avenue Realty Company, Inc.(98-2418) Bryan Realty, Inc. (98-2420) v. Commissioner of Internal Revenue, 206 F.3d 588, 85 A.F.T.R.2d (RIA) 861, 2000 U.S. App. LEXIS 2079 (6th Cir. 2000).

Opinion

206 F.3d 588 (6th Cir. 2000)

Kenco Restaurants, Inc. (98-2416); K-K Restaurants, Inc. (98-2417); Tiffin Avenue Realty Company, Inc.(98-2418); Bryan Realty, Inc. (98-2420),
Petitioners-Appellants,
v.
Commissioner of Internal Revenue, Respondent-Appellee.

Nos. 98-2416, 98-2418, 98-2420

UNITED STATES COURT OF APPEALS FOR THE SIXTH CIRCUIT

Argued: December 10, 1999
Decided and Filed: February 16, 2000

On Appeal from the United States Tax Court; Nos. 95-15949; 95-15950; 95-15951; 95-15952[Copyrighted Material Omitted]

John D. Steffan, STEFFAN & ASSOCIATES, Fairfax, Virginia, for Appellants.

Stuart L. Brown, Internal Revenue Service, Office of Chief Counsel, Teresa E. McLaughlin, Charles F. Marshall, U.S. DEPARTMENT OF JUSTICE, APPELLATE SECTION TAX DIVISION, Washington, D.C., for Appellee.

Teresa E. McLaughlin, Charles F. Marshall, U.S. DEPARTMENT OF JUSTICE, APPELLATE SECTION TAX DIVISION, Washington, D.C., for Appellee.

Before: BOGGS and SUHRHEINRICH, Circuit Judges; POLSTER, District Judge.*

OPINION

SUHRHEINRICH, Circuit Judge.

The Commissioner of the Internal Revenue Service ("Commissioner") sent Petitioners notices of deficiency that reallocated fees Petitioners paid for management and administrative services. The notices of deficiency also imposed accuracy-related penalties. Petitioners filed separate petitions in the United States Tax Court seekinga redetermination of the deficiencies and accuracy-related penalties.

The tax court sustained the reallocations and penalties because Petitioners failed to overcome the presumption of correctness afforded to the notices of deficiency. Petitioners appeal. We AFFIRM.

I.

Petitioners-Appellants, Kenco Restaurants, Inc. ("Kenco"); K-K Restaurants, Inc. ("K-K"); Tiffin Avenue Realty Co., Inc. ("Tiffin"); and Bryan Realty, Inc. ("Bryan") (collectively "Petitioners"), are members of a commonly owned group of fourteen corporations (collectively "Group"). During the years 1990 through 1992, George Kentris ("G. Kentris"), Michael Kentris ("M. Kentris"), and Kenneth Baerwaldt ("Baerwaldt"), either individually or with their wives (collectively "Owners"), owned equal shares of the Group.

Of the fourteen Group members, thirteen either own and operate one or more Taco Bell restaurants ("Restaurant Corporations") or own the real estate ("Realty Corporation") on which another member of the Group operates a Taco Bell restaurant. The following is a chart identifying the thirteen Restaurant and Realty Corporations:

Restaurant                                      Realty 
Corporations            Location                Corporations 
K-K                     Findlay, OH             Tiffin 
K-K                     Findlay, OH             Trenton Ave. Realty 
Kenco                   Lima, OH                Harding Highway Realty 
Kenco                   Lima, OH                Allentown Road Realty 
Bowling Green           Bowling Green, OH       Bowling Green 
GMK                     Defiance, OH            unrelated corporation 
Perrysburg              Perrysburg, OH          Perrysburg 
Wapak                   Wapakoneta, OH          Apollo Drive Realty 
Bryan Rest.             Bryan, OH               Bryan

The fourteenth Group member, BKK Management, Inc. ("BKK"), neither owns a Restaurant Corporation nor owns a Realty Corporation. Instead, BKK provides management and administrative services to the thirteen Group members and bills each Group member for these services. These services are not in dispute and, according to the tax court's opinion, include "accounting and administrative services, advertising, coordination and installation of Taco Bell menus, renovations, remodeling and repairs, building and equipment maintenance, insurance coverage, training, inspections, and contracting." Kenco Restaurants, Inc. v. Commissioner, 76 T.C.M. (CCH) 512, 513 (1998). The services are performed by Owners and BKK's support staff, and BKK pays their salaries. Baerwaldt and M. Kentris provide the operational management of the restaurants, and G. Kentris, an attorney, works half as many hours as the former two and is responsible for the Group's administrative and legal needs, which include payroll, contracts, finances, and legal matters.

All costs that BKK incurs for providing these services are allocated to Group members as a "management cost share" fee. These fees have two categories: payroll related (salaries, employment taxes, and health benefits) and incidental (office supplies, telephone charges, and rent). Approximately 85 percent of BKK's payroll related costs are attributable to Owners, and approximately 15 percent are attributable to the support staff.

Petitioners contend that BKK's payroll related costs were allocated according to the number of hours each Owner spent with each Group member. For an upcoming year, the Owners projected the hours they would spend with each Group member based on the hours they spent the previous year. Then, they adjusted their projections for upcoming projects and reevaluated them at midyear. However, theOwners did not maintain time logs or written documents recording their actual hours. Petitioners further contend that BKK allocated its incidental costs to Group members based on their consumption.

The fees that Group members paid to BKK are reflected in the following chart. To the right of each fee is the percentage that the fee represents of BKK's total annual fees.

                               Restaurant Corporations
                        1990                    1991                    1992 
Kenco**         FEE/%    313,700.00/43.0%        413,000.00/42.3%      389,000.00/33.5% 
K-K**          FEE/%    279,650.00/39%          283,500.00/29%        380,600.00/32.9% 
GMK            FEE/%    9,100.00/1.0%           21,700.00/2.2%        87,200.00/7.5% 
Perrysburg     FEE/%    9,000.00/4.0%           60,415.00/6.2%        42,700.00/3.7% 
Bowling
Green          FEE/%    30,500.00/4.2%          82,000.00/8.4%       112,000.00/9.7% 
Wapak          FEE/%     0.00/0.0%              29,600.00/3.0%        52,366.00/4.5% 
Bryan
Rest.          FEE/%                                                   6,000.00/0.5% 
                               Realty Corporations
                        1990                    1991                    1992 
Tiffin**       FEE/%    28,000.00/3.9%          31,000.00/3.2%         26,000.00/2.2% 
Trenton        FEE/%    12,000.00/1.7%          14,500.00/1.5%         16,100.00/1.4% 
Allentown      FEE /%    2,000.00/0.3%           8,700.00/0.9%         11,100.00/1.0% 
Harding
Highway        FEE/ %   18,000.00/2.5%          24,000.00/2.5%         25,000.00/2.2% 
Apollo         FEE/%     3,000.00/0.4%           7,700.00/0.8%          7,200.00/0.6% 
Bryan**         FEE/%                                                   3,000.00/0.3%

After an audit, IRS Agent Camper ("Camper") calculated the reallocations of BKK's management fees to reflect each Group member's yearly gross sales.1

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206 F.3d 588, 85 A.F.T.R.2d (RIA) 861, 2000 U.S. App. LEXIS 2079, Counsel Stack Legal Research, https://law.counselstack.com/opinion/kenco-restaurants-inc-98-2416-k-k-restaurants-inc-98-2417-tiffin-ca6-2000.