Krahenbuhl v. Commissioner

1968 T.C. Memo. 34, 27 T.C.M. 155, 1968 Tax Ct. Memo LEXIS 263
CourtUnited States Tax Court
DecidedFebruary 27, 1968
DocketDocket No. 5010-66.
StatusUnpublished

This text of 1968 T.C. Memo. 34 (Krahenbuhl 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
Krahenbuhl v. Commissioner, 1968 T.C. Memo. 34, 27 T.C.M. 155, 1968 Tax Ct. Memo LEXIS 263 (tax 1968).

Opinion

Pat Krahenbuhl and Emma L. Krahenbuhl v. Commissioner.
Krahenbuhl v. Commissioner
Docket No. 5010-66.
United States Tax Court
T.C. Memo 1968-34; 1968 Tax Ct. Memo LEXIS 263; 27 T.C.M. (CCH) 155; T.C.M. (RIA) 68034;
February 27, 1968. Filed
Jack Keyes, 720 N. 18th, Bessemer, Ala., for the petitioners. Robert D. Hoffman, for the respondent.

TIETJENS

Memorandum Findings of Fact and Opinion

TIETJENS, Judge: The Commissioner determined the following deficiencies in income tax against petitioners:

Taxable Year EndedAmount
12/31/63$1,034.28
12/31/64271.34

The question for decision is whether the Commissioner properly increased the unreported income of petitioner, Pat Krahenbuhl, by the amounts of $4,269.56 for 1963 and $1,116.47 for 1964 by reallocating to him all the undistributed taxable income of a subchapter S corporation to reflect the value of his services in accordance with section 1375(c) of the 1954 Code.

Findings of Fact

Some of the facts are stipulated. The stipulated facts are incorporated herein by reference.

Pat and Emma L. Krahenbuhl, husband and wife (sometimes hereinafter referred to as petitioners), reside*265 in Bessemer, Alabama, and resided there at the date the petition in this case was filed.

Mid-Alabama Electric, Inc., a corporation (sometimes hereinafter referred to as the "corporation"), was organized under the laws of the State of Alabama on January 2, 1963. Five thousand shares of common stock were authorized, issued and outstanding on the date of incorporation, which shares were subscribed to, issued to and held by the following persons on the date of incorporation as follows:

Pat Krahenbuhl2,501 shares
Thurman L. Durham1 share
Emma D. Krahenbuhl 2,498 shares
Total5,000
Thurman L. Durham held one "qualifying" share so that the corporation could comply with Alabama law. After incorporation was completed such share was transferred to Emma D. Krahenbuhl (Emma L. Krahenbuhl is the same person as Emma D. Krahenbuhl).

Mid-Alabama Electric, Inc., is a U.S. small business corporation as defined in subchapter S of the Internal Revenue Code of 1954, and elected not to be taxed as a corporation under Code section 1372. The shareholders properly consented to such election.

On January 3, 1963, Emma D. Krahenbuhl transferred to herself as custodian under the*266 Uniform Gift to Minors Act, 624 shares for each of her four children. These children and their dates of birth are shown below:

Suzanne M. KrahenbuhlAugust 28, 1951
Patrick W. KrahenbuhlAugust 17, 1953
Melanie R. KrahenbuhlAugust 28, 1954
Melissa K. KrahenbuhlMarch 22, 1956
All these gifts were properly made under the Alabama Uniform Gift to Minors Act, sections 154(1) through 154(10), Title 47, Alabama Code 1958. Social Security cards have been issued to each of these children.

Pat is a graduate electrical engineer and a master electrician. For about six years prior to the formation of Mid-Alabama Electric, Inc., he was employed by Canterbury Electric Company, which was in the electrical contracting business. He performed such duties as sales engineer, a semioffice manager, prepared bids on jobs, and handled the work and followed through on such jobs to a conclusion. In addition to working for Canterbury Electric Company, he also taught in the public school systems in Bessemer and Birmingham, Alabama. After the formation of Mid-Alabama Electric, Inc., he 156 served as president during the years 1963 and 1964, and his duties were similar to those he*267 had performed while working for Canterbury Electric Company.

Mid-Alabama Electric, Inc., is in the electrical contracting business, i.e., installing electrical conduits and fixtures and doing electrical planning for others, and has been since its organization on January 2, 1963. Pat has been the guiding influence and main spring of this business. For the first four or five months after the formation of this corporation he worked 14 to 16 hours a day for the corporation. He submitted all bids on all jobs, outlined the work of all employees, supervised all jobs, and purchased all the materials.

The corporation hired approximately 20 persons in the conduct of its business during 1963 and 1964. However, for the first three or four months of 1963 the petitioners were the only employees of the corporation.

The corporation operates on a fiscal year basis. It filed its U.S. Small Business Corporation Return of Income, Form 1120-S, with the district director, Birmingham, Alabama, for the period January 2 - Decemeber 1, 1963, and for the fiscal year ending November 30, 1964. These returns disclosed taxable income of $8,552.79 for 1963 and $2,236.51 for 1964.

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Related

Duarte v. Commissioner
44 T.C. 193 (U.S. Tax Court, 1965)

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Bluebook (online)
1968 T.C. Memo. 34, 27 T.C.M. 155, 1968 Tax Ct. Memo LEXIS 263, Counsel Stack Legal Research, https://law.counselstack.com/opinion/krahenbuhl-v-commissioner-tax-1968.