Lee v. Commissioner

1976 T.C. Memo. 265, 35 T.C.M. 1157, 1976 Tax Ct. Memo LEXIS 138
United States Tax Court·Decided August 23, 1976·No. Docket Nos. 142-75, 260-75, 261-75.·Unpublished·Cited by 1 cases

Opinion

ROBERT J. LEE and IMA N. LEE, ET AL., 1 Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Lee v. Commissioner
Docket Nos. 142-75, 260-75, 261-75.
United States Tax Court
T.C. Memo 1976-265; 1976 Tax Ct. Memo LEXIS 138; 35 T.C.M. (CCH) 1157; T.C.M. (RIA) 760265;
August 23, 1976, Filed
F. Pen Cosby, for the petitioners in docket No. 142-75.
Stephen K. Miller, for the petitioners in docket Nos. 260-75 and 261-75.
Thomas L. Kummer, for the respondent.

TANNENWALD

MEMORANDUM OPINION

TANNENWALD, Judge: Respondent determined the following deficiencies in Federal income tax:

Docket No.1968197019711972
142-75$ 8,702.61$16,817.65$ 4,197.93$39.70
260-758,680.3117,512.004,295.820
261-7511,245.411,985.191,170.8637.37
*139 The issue before us is the extent to which petitioners, shareholders of an electing small business corporation, 2 were entitled to deduct their proportionate shares of such corporation's net operating losses on their individual tax returns for the years in question.

These cases were submitted to the Court fully stipulated under Rule 122, Tax Court Rules of Practice and Procedure. The stipulations of fact and accompanying exhibits filed by the parties are incorporated herein by this reference.

Robert J. and Ima N. Lee are husband and wife who resided in Indianapolis, Indiana, at the time of filing their petition herein and who filed joint tax returns for the years at issue. James G. and Joyce E. Hicks are husband and wife who resided in Indianapolis, Indiana, at the time of filing their petition herein and who filed joint tax returns for the years at issue. Charles H. and Peggy R. Dell are husband and wife who resided in Wheatridge, Colorado, at the time of filing their petition herein and who filed joint tax returns for the*140 years at issue. All of the petitioners' joint returns filed for the years in issue were filed with the Internal Revenue Service Center at Cincinnati, Ohio. Hereinafter any reference to petitioners shall be to the petitioner-husbands.

On December 3, 1965, Indianpolis Kellering Co., Inc. (hereinafter IKC) was organized under the laws of the State of Indiana. IKC adopted a fiscal year ending November 30, and filed an election to be taxed as a small business corporation under subchapter S of the Internal Revenue Code which was in effect at all times material herein.

The outstanding stock of IKC was held as follows:

No. of Shares/Percent of Outstanding Stock
As of -LeeHicksDellFleenor
11/30/70100/41.67%100/41.67%30/12.50%10/4.16%
11/30/71100/33.33%100/33/33%90/30.00%10/3.33%
11/30/72100/33.33%100/33.33%100/33.33%

As of November 30, 1970, petitioners had invested the following amounts in IKC:

Lee $500
Hicks500
Dell150

As of December 30, 1971, Dell had invested an additional $931 in the corporation.

On the balance sheets included in its Federal tax returns for the following years, IKC listed*141 the following:

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Lee v. Commissioner, 1976 T.C. Memo. 265, 35 T.C.M. 1157, 1976 Tax Ct. Memo LEXIS 138 (tax 1976).

1976 T.C. Memo. 265 (Lee v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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