Kreps v. Commissioner

42 T.C. 660, 1964 U.S. Tax Ct. LEXIS 78
CourtUnited States Tax Court
DecidedJune 30, 1964
DocketDocket No. 85290
StatusPublished
Cited by99 cases

This text of 42 T.C. 660 (Kreps 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
Kreps v. Commissioner, 42 T.C. 660, 1964 U.S. Tax Ct. LEXIS 78 (tax 1964).

Opinion

Bruce, Judge:

Respondent determined that petitioner is liable to the extent of $7,357.54 as transferee of assets of Metropolitan Air Freight Depot, Inc., for income taxes, additions to tax, and interest due from Metropolitan for the fiscal years ended February 28, 1951, February 29,1952, and February 28,1953.

The questions presented are:

(1) Whether petitioner is liable as a transferee to the extent of $7,357.54, or in any amount, for income taxes, additions to tax, and interest due from Metropolitan Air Freight Depot, Inc., for the fiscal years ended February 28, 1951, February 29, 1952, and February 28, 1953.

(2) Whether the assessment and collection of deficiencies in income taxes and additions to tax against Metropolitan Air Freight Depot, Inc., for the taxable years February 28,1951, February 29, 1952, and February 28, 1953, are barred by the statute of limitations.

(3) Whether the assessment and collection of transferee liability asserted against petitioner are barred by limitations.

FINDINGS OF FACT

Some of the facts have been stipulated and the stipulations, together with the exhibits attached thereto, are hereby adopted.

The petitioner, Sidney Kreps, filed individual income tax returns for the calendar years 1950 and 1951 with the collector of internal revenue for the first district of New York, and for the calendar year 1952 with the district director of internal revenue, Brooklyn, N.Y. Metropolitan Air Freight Depot, Inc., sometimes hereinafter referred to as Metropolitan, filed corporate income tax returns for the fiscal years ended February 28, 1951, and February 29, 1952, with the collector of internal revenue for the third district of New York, and for the fiscal year ended February 28, 1953, with the district director of internal revenue, Upper Manhattan, N.Y. The returns for Metropolitan were filed on May 11, 1951, May 12, 1952, and October 19, 1953, respectively.

Metropolitan was organized in March 1949, pursuant to the laws of New York. Its business purpose was airfreight forwarding, i.e., consolidating and shipping packages by air. During the years involved, its business address was 315 West 36th Street, New York, N.Y. Its books and records were maintained and its returns were reported on a cash receipts and disbursements method of accounting.

The income tax returns filed by Metropolitan indicate there were 400 shares of capital stock outstanding at the end of each of the fiscal years involved. No stock certificates were issued by Metropolitan to any of its shareholders. The corporate return for the fiscal year ended February 28, 1951, states, without naming them, that there were three shareholders. The return for the fiscal year ended February 29, 1952, states there were two shareholders and shows Sidney II. Kreps as the owner of 25 percent of the outstanding capital stock and Bernard J. Kurtin as the owner of 75 percent of the capital stock. The return for the fiscal year ended February 28, 1953, states there were two shareholders but does not name them. Bernard J. Kurtin was president and Sidney H. Kreps was secretary and treasurer of Metropolitan during each of the fiscal years involved. Both Kurtin and petitioner signed the returns for the fiscal years ended in 1951 and 1952. The return for the fiscal year ended in 1953 was signed only by petitioner. Petitioner also traveled in the United States and abroad soliciting business for Metropolitan.

On June 27,1958, a notice of deficiency was mailed to Metropolitan showing deficiencies in income tax for the fiscal years ended February 28,1951, February 29,1952, and February 28,1953, in the total amount of $24,393.98 and additions to tax for each of said years in the total amount of $12,038.10. No petition was filed with the Tax Court by Metropolitan.

Forms 872, “Consent Fixing Period of Limitations Upon Assessment of Income and Profits Tax,” were executed on behalf of Metropolitan and respondent and filed in the office of the district director of internal revenue, Upper Manhattan district, on February 3, 1956, and February 21,1957, whereby it was agreed—

That the amount of any income, excess-profits, or war-profits taxes clue under any return (or returns) made by or on behalf of the above-named taxpayer (or taxpayers) for the taxable year ended 2/28/58 under existing acts, or under prior revenue acts, may be assessed at any time on or before June 30,1958,[1] except that, if a notice of a deficiency in tax is sent to said taxpayer (or taxpayers) by registered mail on or before said date, then the time for making any assessment as aforesaid shall be extended beyond the said date by the number of days during which the making of an assessment is prohibited and for sixty days thereafter.

Deficiencies in tax, additions to tax under sections 293(b) and 294(d) of the Internal Revenue Code of 1989, and interest were assessed against Metropolitan on November 28,1958, as follows:

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On March 2, 1959, a payment in the amount of $467.66 was applied toward the total amount due by Metropolitan for the fiscal year ended February 28,1951. No other payments have been made of the amounts assessed against it and there remained owing and unpaid as of November 28,1958, taxes, additions to tax, and interest due from Metropolitan for the fiscal years ended February 28,1951, February 29,1952, and February 28, 1953, in the aggregate amounts of $31,951.09, $13,531.67, and $1,005.47, respectively.

On November 25, 1959, respondent notified petitioner that he was liable to the extent of $7,357.54 as transferee of assets of Metropolitan for income taxes, additions to tax, and interest due from Metropolitan for the fiscal years involved.

During the years involved scheduled airline passenger tickets were purchased by Metropolitan and charged on its books of account to “Air Freight,” as follows:

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None of the above tickets were used and the respective airlines su bsequently issued refund checks in redemption thereof. The parties have stipulated that the refund checks received in redemption of said airline tickets were deposited in personal bank accounts of petitioner, Rhoda Kreps (his wife), or Bernard Kurtin, as follows:

Date Sidney Kreps Rhoda Kreps Bernard Kurtin
July 3,1950_ 1 $7,787.41
Jan. 8,1951... 2 $676.09
Mar. 23,1951.. 3 $4,057.20
Feb. 27,1951-4 1,236.04
Mar. 21,1951-5 1,199.22
Mar. 8,1951... 6 3,144.00
Feb. 6,1952... 7 5,226.40
Jan. 31,1952.. 8 345.00 8 1,035.00
Jan. 24, 1952.. 9

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Bluebook (online)
42 T.C. 660, 1964 U.S. Tax Ct. LEXIS 78, Counsel Stack Legal Research, https://law.counselstack.com/opinion/kreps-v-commissioner-tax-1964.