Leon H. Perlin Co. v. Commissioner

1993 T.C. Memo. 79, 65 T.C.M. 2013, 1993 Tax Ct. Memo LEXIS 81
CourtUnited States Tax Court
DecidedMarch 9, 1993
DocketDocket Nos. 12026-89, 12027-89
StatusUnpublished

This text of 1993 T.C. Memo. 79 (Leon H. Perlin Co. 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
Leon H. Perlin Co. v. Commissioner, 1993 T.C. Memo. 79, 65 T.C.M. 2013, 1993 Tax Ct. Memo LEXIS 81 (tax 1993).

Opinion

LEON H. PERLIN COMPANY, INC., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent; LEON H. PERLIN AND PHYLLIS F. PERLIN, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Leon H. Perlin Co. v. Commissioner
Docket Nos. 12026-89, 12027-89
United States Tax Court
T.C. Memo 1993-79; 1993 Tax Ct. Memo LEXIS 81; 65 T.C.M. (CCH) 2013;
March 9, 1993, Filed

*81 Decision will be entered under Rule 155.

For petitioners: Richard J. Melnick and Randal D. Shields.
For respondent: Judy Jacobs Miller.
PARKER

PARKER

MEMORANDUM FINDINGS OF FACT AND OPINION

PARKER, Judge: In these consolidated cases, respondent determined a deficiency of $ 153,056 in the individual petitioners' Federal income taxes for the taxable year 1984 and deficiencies in the corporate petitioner's Federal income taxes as follows:

Tax Year EndedDeficiency
May 31, 1981$20,749 
May 31, 198254,194
May 31, 1984108,963

Unless otherwise indicated, all section references are to the Internal Revenue Code in effect for the taxable years at issue, and all Rule references are to the Tax Court Rules of Practice and Procedure.

The issues remaining for decision are:

(1) Whether the unsecured advances of $ 494,101 by Leon H. Perlin Company, Inc., to Middle Plantation of Williamsburg, Inc., became worthless during the fiscal year ended May 31, 1984;

(2) Whether the individual petitioner, Leon H. Perlin, received a constructive dividend of $ 494,101 in 1984 by personally receiving payment from Realtec Incorporated for his and his company's claims against and interests*82 in Middle Plantation of Williamsburg, Inc.; and

(3) Whether an adjustment in the purchase price paid by Realtec Incorporated to the individual petitioner, Leon H. Perlin, is warranted under the price-interest recomputation rule of section 15A.453-1(c)(2)(ii), Temporary Income Tax Regs., 46 Fed. Reg. 10712 (Feb. 4, 1981).

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts and the exhibits attached thereto are incorporated herein by this reference.

At the time their petition was filed, the individual petitioners, Leon H. Perlin (petitioner) and Phyllis F. Perlin (Mrs. Perlin), resided in Virginia Beach, Virginia.

The corporate petitioner, Leon H. Perlin Company, Inc. (Perlin Company), was a Virginia corporation which liquidated in 1986. Its principal office was located in Virginia Beach, Virginia. During the years 1977 through 1983, Perlin Company was engaged in the business of constructing large commercial projects, such as hotels and office buildings. Petitioner owned all of the outstanding stock of Perlin Company from its formation in 1958 to its dissolution in 1986.

Petitioner's Initial Involvement*83 with Hab Baker and Middle Plantation of Williamsburg, Inc.

Prior to December 2, 1977, approximately 1,400 acres of land in James City County, Virginia (the Property), were owned by GMR Properties, a Massachusetts Business Trust (GMR). In late 1977, Hab Baker (Baker), a real estate developer, had the opportunity to purchase the Property but lacked the cash needed to finance the purchase. He approached petitioner to inquire whether petitioner would be interested in lending money to his (Baker's) company to purchase the Property and develop it as a planned unit development, which would include residences, condominiums, apartments, club facilities, recreational facilities, and shopping areas. The plans for the development had been formulated at an earlier time by another developer whose business had failed. Baker intended to continue the project and to complete it through a company he had formed called Middle Plantation of Williamsburg, Inc. (MPW).

By contract dated December 2, 1977 (the Contract), petitioner agreed to advance to MPW the sum of $ 325,000, to be used in the purchase of the Property and for related expenses. At that time, Baker owned an 84-percent controlling interest*84 in MPW. In consideration of petitioner's loan of $ 325,000 and the cancellation of a $ 25,000 note that Baker had previously issued to petitioner, MPW issued an interest-bearing note to petitioner in the face amount of $ 380,000 (the $ 380,000 Note). The Contract provided that, if the $ 380,000 Note were paid at maturity or at the expiration of any extension of time for payment thereof, the principal balance due would be reduced by $ 30,000. The $ 380,000 Note was due in full in 1 year. The $ 380,000 Note was signed by Baker on behalf of MPW and also was signed by Baker and his wife, Cheryl Baker, personally. The $ 380,000 Note was secured by: (1) a second mortgage on the entire Property (the 1,400 acres); (2) an assignment by Baker of his general partnership interest in Tidewater Green Enterprises, a Virginia limited partnership (Tidewater); 1 (3) a pledge by Baker of all of his 8,400 shares in MPW; and (4) a $ 350,000 life insurance policy on the life of Baker.

*85 Pursuant to the Contract, petitioner immediately received 8.5 percent of the stock of MPW.

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1993 T.C. Memo. 79, 65 T.C.M. 2013, 1993 Tax Ct. Memo LEXIS 81, Counsel Stack Legal Research, https://law.counselstack.com/opinion/leon-h-perlin-co-v-commissioner-tax-1993.