Leeb v. Commissioner

12 T.C.M. 256, 1953 Tax Ct. Memo LEXIS 343
CourtUnited States Tax Court
DecidedMarch 12, 1953
DocketDocket Nos. 35019, 35020, 35038.
StatusUnpublished

This text of 12 T.C.M. 256 (Leeb 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
Leeb v. Commissioner, 12 T.C.M. 256, 1953 Tax Ct. Memo LEXIS 343 (tax 1953).

Opinion

Gabriel Leeb and Thelma Leeb, Husband and Wife v. Commissioner. Leighton Rosenthal and Honey Rosenthal, Husband and Wife v. Commissioner. Gabriel Feigenbaum and Miriam Feigenbaum, Husband and Wife v. Commissioner.
Leeb v. Commissioner
Docket Nos. 35019, 35020, 35038.
United States Tax Court
1953 Tax Ct. Memo LEXIS 343; 12 T.C.M. (CCH) 256; T.C.M. (RIA) 53073;
March 12, 1953

*343 The gains derived by petitioners during the taxable year from the sale of certain properties are properly taxable as capital gains. Section 117 (a) and (j), I.R.C.

M. R. Schlesinger, Esq., 1720 N.B.C. Building, Cleveland, Ohio, for the petitioners. Charles R. Hembree, Esq., for the respondent.

VAN FOSSAN

Memorandum Findings of Fact and Opinion

These proceedings involve deficiencies determined by respondent in income tax of petitioners and an addition thereto for the year 1948, as follows: *344

Addition
NameDeficiencyto Tax
Gabriel & Thelma Leeb$ 956.50$108.22
Leighton & Honey Rosen-
thal4,536.73
Gabriel & Miriam Feigen-
baum3,778.20

Various adjustments made by respondent in determining the above deficiencies as well as the foregoing addition to tax in the case of petitioners in docket No. 35019 have been acquiesced in by the taxpayers concerned. Petitioners have assigned as error only those adjustments so made in connection with the gains on the sales of certain properties by a partnership composed of the husband petitioners.

Thus, the sole issue presented for our consideration is whether such sales gave rise to capital gain or ordinary income.

Findings of Fact

The stipulation of facts filed by the petitioners is adopted and made a part hereof.

The petitioners in docket No. 35019 are Gabriel Leeb and Thelma Leeb, husband and wife, who reside in Cleveland Heights, Ohio. Petitioners in docket No. 35020 are Leighton Rosenthal and Honey Rosenthal, who are husband and wife residing in Shaker Heights, Ohio. The petitioners in docket No. 35038, Gabriel Feigenbaum and Miriam Feigenbaum are husband and wife residing in Shaker Heights, *345 Ohio. All petitioners filed joint income tax returns for the calendar year 1948, the taxable year here involved, with the collector of internal revenue for the eighteenth district of Ohio at Cleveland.

The partnership bearing the name of Prentiss Park Co. (hereinafter referred to as "Prentiss Park") was formed by the husband petitioners (for convenience, hereinafter called "petitioners") in June, 1945, for the purpose of acquiring and subdividing a 42 acre tract of land in Cleveland Heights, Ohio, which land had formerly belonged to one Elizabeth Prentiss. Prentiss Park purchased such land in June, 1945, from the National City Bank, trustee of the estate of Elizabeth Prentiss. The National City Bank was, at that time, in the process of liquidating the estate and wanted to sell the 42 acre tract of land in a single transaction.

This tract of land, situated at the corner of Mayfield and Yellowstone Roads in the City of Cleveland Heights, Ohio, was bounded on the south by an approximate 1,100 feet frontage on Mayfield Road, and on the east by an approximate 1,400 feet frontage on Yellowstone Road. The northern boundary extended in a straight line between Yellowstone Road and Taylor*346 Road for approximately 1,800 feet. Approximately 1,000 feet of the western boundary ran north from Mayfield Road along the eastern lot line of an adjoining tract of land belonging to one Julia S. Milliken, which western boundary paralleled Taylor Road but was approximately 370 feet east of Taylor Road. The boundary line then continued in a westerly direction along the northern boundary of the Milliken property for approximately 370 feet to Taylor Road and thence in a northwesterly direction along Taylor Road for approximately 530 feet to intersect the northern boundary.

Shortly after the purchase of the 42 acre tract of land, an architect was selected by the Prentiss Park partners to be the site planner in subdividing the property. The partners' intention expressed to the architect, as site planner, was to develop the Mayfield Road frontage directly back to its most effective possibility economically and aesthetically. With the consent of the partners, an engineer was engaged to survey and make a topographical map of the 42 acre tract. When this map was completed, it was delivered to the site planner, who thereupon drew a proposed site plan for subdividing the entire 42 acre tract. *347 This proposed site plan was delivered to the engineer, who prepared the topographical map, for the purpose of preparing the final plat therefrom. He raised a question as to the economy of the design and recommended that the subdivision not include that portion of the tract which was later designated as Block A. When the site plan thus proposed was submitted to Prentiss Park, it was rejected by the partners as being economically impractical to include within the subdivision that part later designated as Block A. The result was that the proposed site plan was abandoned insofar as it related to the northwest six acres of the 42 acre tract.

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Bluebook (online)
12 T.C.M. 256, 1953 Tax Ct. Memo LEXIS 343, Counsel Stack Legal Research, https://law.counselstack.com/opinion/leeb-v-commissioner-tax-1953.