Kuehner v. Commissioner of Internal Revenue

214 F.2d 437, 45 A.F.T.R. (P-H) 1747, 1954 U.S. App. LEXIS 4539
CourtCourt of Appeals for the First Circuit
DecidedJuly 2, 1954
Docket4814_1
StatusPublished
Cited by20 cases

This text of 214 F.2d 437 (Kuehner v. Commissioner of Internal Revenue) is published on Counsel Stack Legal Research, covering Court of Appeals for the First Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Kuehner v. Commissioner of Internal Revenue, 214 F.2d 437, 45 A.F.T.R. (P-H) 1747, 1954 U.S. App. LEXIS 4539 (1st Cir. 1954).

Opinion

HARTIGAN, Circuit Judge.

This is an appeal from a decision of the Tax Court entered on October 15, *438 1953, 20 T.C. 875, determining a deficiency in the petitioner’s income tax for the calendar- year 1947 in the amount of $13,808.75. The following material facts were stipulated and were adopted by the Tax Court as its findings of fact.

The petitioner filed her 1947 income tax return on the cash basis with the Collector of Internal Revenue of Providence, R. I. On August 6, 1947, the petitioner and Lena Allin owned all the shares of Alkay Jewelry Co. issued and outstanding. The petitioner owned 50 shares of Alkay stock which were acquired on October 29, 1946 at a cost of $200 per share. On August 6, 1947, the petitioner, Alkay and the Rhode Island Hospital Trust Company entered into an agreement and a supplement thereto, the pertinent provisions of which were as follows:

The Trust Company was appointed' Trustee for the purposes of the agreement. The petitioner agreed “herewith” to deliver to the Trustee her 50 shares of the common stock of Alkay together with an assignment of all her right, title and interest in the 50 shares. She agreed to sell, and Alkay agreed to buy, 10 shares of said stock on February 1st of 1948 through 1952 for a payment of $13,000 on said date in each of those years. All dividends received by the Trustee as record owner of the stock were to be paid to the petitioner and were to be deducted from the aggregate purchase price of $65,000. Alkay agreed to deliver $65,000 to the Trustee on the date of the execution of the agreement. On February 1st of each of the years 1948 through 1952, the Trustee agreed to deliver 10 shares of the stock to Alkay and pay the petitioner $13,000, less any dividends received on the stock by the Trustee. The Trustee was to permit Lena Allin or her executor or - administrator to exercise any and all voting rights with respect to any shares of the stock of which it was the record holder. The $65,000 delivered by Alkay was to be invested by the Trustee by depositing it in banks or by buying United States Government Bonds. All interest received by the Trustee was to be paid to the petitioner on February 6, 1952; If the petitioner died before February 6, 1952, the Trustee, upon request in writing from the petitioner’s executor or administrator, agreed to deliver to the executor or administrator the balance of the $65,000 purchase price and deliver to Alkay the remaining certificates of stock in its possession. If Alkay filed a voluntary petition in bankruptcy or was declared bankrupt or insolvent, or if a receiver of its property were appointed, the petitioner could demand from the Trustee the remaining balance of the $65,000 and, upon delivery of such balance, the Trustee agreed to deliver to the trustee in bankruptcy for or the receiver of the property of Alkay the remaining certificates of Alkay stock in its possession., The agreement was binding on the heirs,' executors, administrators, successors. ■ and assigns of the parties.

Pursuant to the agreement, the petitioner deposited with the Trustee on August 6, 1947, 50 shares of Alkay stock, duly endorsed for transfer. Thereafter the 50 shares were registered on the books of Alkay in the name of “Rhode. Island Hospital Trust Company, Trustee-under agreement dated August 6, 1947.”' On August 7, 1947, Alkay deposited $65,000 with the Trustee, and on August 25, 1947, the Trustee purchased $70,000 face value of United States. Savings Bonds, Series F for $51,800. In February of each year 1948 through 1952 the Trustee made payments to the 1 petitioner of $12,950 ($13,000 less $50 Trustee fee). Periodically, upon payment to the petitioner of these amounts* the Trustee delivered a ten share certificate of stock to Alkay pursuant to-the schedule set out in the agreement. The petitioner did not report any gain from the sale or exchange, of capital assets in her income tax return for 1947. For each of the years 1948, 1949, 1950' and 1951 she reported the sale of 10'_ shares of Alkay stock.

In his notice of deficiency the Com-, missioner of Internal Revenue stated. *439 that the petitioner’s transfer of her 50 Alkay shares in 1947 to the Trustee constituted a sale of such stock in 1947 and that the gain on the sale was taxable to the petitioner in 1947 as a long-term capital gain. The Tax Court sustained the Commissioner’s deficiency determination and this appeal followed.

There is no dispute that the petitioner realized a gain from the transaction she entered into on August 6, 1947, but the parties are in disagreement as to the amount of that gain which is taxable to the petitioner for the year 1947. The petitioner contends that the agreement of August 6, 1947 was nothing more than an executory contract to make five separate future sales of ten shares in each of the years 1948 through 1952, coupled with an escrow agreement to insure performance by both parties, and that she did not receive any cash or the equivalent of cash in 1947 as a result of the agreement. Since the petitioner filed her income tax return for 1947 on the cash basis, she concludes that she realized no taxable income in 1947 as a result of the agreement. The respondent, on the other hand, argues that the August 6, 1947 agreement constituted a completed exchange in 1947 of the petitioner’s 50 shares of Alkay stock for property consisting of a beneficial interest in a $65,000 trust fund, and that the fair market value of the beneficial interest received by the petitioner in 1947 constituted an amount realized by her in 1947. The respondent, therefore, concludes that the entire gain from the petitioner’s disposition of her 50 shares of Alkay stock was realized by her in 1947.

Under the provisions of 26 U. S.C. §§ 42(a) and 111(a) and (b), 1 the gain from the sale or other disposition of the petitioner’s Alkay stock in 1947 is the excess of the amount realized by the petitioner therefrom in 1947 over the adjusted basis of the stock. In the instant case the adjusted basis of the petitioner’s stock was its cost amounting to $10,000. And the amount realized by the petitioner in 1947 from the sale or other disposition of her Alkay stock is the sum of money received in 1947, which in this case is zero, plus the fair market value of the property received by the petitioner in 1947 under the terms of the agreement. Therefore, the amount of the petitioner’s gain in 1947 as a result of the agreement is governed by the fair market value of the property received by the petitioner in 1947 under the terms of the agreement. The Tax Court found that the fair market value of the property received by the petitioner in 1947 was $65,000 2 It is our function to determine whether that finding is clearly erroneous. 26 U.S.C. § 1141(a); United States v. State Street Trust Co., 1 Cir., 1942, 124 F.2d 948; Amoroso v. Commissioner of Internal Revenue, 1 Cir., 1952, 193 F.2d 583

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Bluebook (online)
214 F.2d 437, 45 A.F.T.R. (P-H) 1747, 1954 U.S. App. LEXIS 4539, Counsel Stack Legal Research, https://law.counselstack.com/opinion/kuehner-v-commissioner-of-internal-revenue-ca1-1954.