Lockwood Realty Corp. v. Commissioner

1958 T.C. Memo. 49, 17 T.C.M. 247, 1958 Tax Ct. Memo LEXIS 179
CourtUnited States Tax Court
DecidedMarch 31, 1958
DocketDocket No. 63245.
StatusUnpublished
Cited by2 cases

This text of 1958 T.C. Memo. 49 (Lockwood Realty Corp. 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
Lockwood Realty Corp. v. Commissioner, 1958 T.C. Memo. 49, 17 T.C.M. 247, 1958 Tax Ct. Memo LEXIS 179 (tax 1958).

Opinion

Lockwood Realty Corporation v. Commissioner.
Lockwood Realty Corp. v. Commissioner
Docket No. 63245.
United States Tax Court
T.C. Memo 1958-49; 1958 Tax Ct. Memo LEXIS 179; 17 T.C.M. (CCH) 247; T.C.M. (RIA) 58049;
March 31, 1958

*179 Held: (1) Petitioner has failed to show that payments in issue constitute interest within the meaning of section 23(b), I.R.C. of 1939. (2) Reasonable compensation paid by petitioner to its officers for each of the taxable years, within the meaning of section 23(a)(1)(A), I.R.C. of 1939, determined.

Charles H. Tobias, Jr., Esq., and Paul W. Steer, Esq., for the petitioner. Mark H. Berliant, Esq., for the respondent.

BRUCE

Memorandum Findings of Fact and Opinion

BRUCE, Judge: Respondent determined deficiencies in income tax of petitioner as follows:

Fiscal Year EndedDeficiency
June 30, 1953$1,714.41
June 30, 19541,676.20
June 30, 19551,678.25
There are two issues for decision: (1) whether respondent erroneously disallowed a deduction for interest*180 expense for each of the years in issue; (2) whether respondent erroneously disallowed part of a deduction for management fees for each of the years in issue.

Findings of Fact

The stipulated facts are included herein by this reference. Petitioner is a corporation organized and operating under the laws of the State of Ohio with its principal office in Cincinnati. The Federal income tax returns of petitioner for the period in issue were prepared according to a fiscal year ended June 30, and were filed with the director of internal revenue at Cincinnati, Ohio.

In 1947 Isaac Rabkin saw an announcement that the Lockwood Court Apartments were to be sold at a sheriff's sale. Rabkin had been active in managing real estate for several years and decided he would like to purchase the apartments. Not wishing to obligate himself for the entire purchase price, he interested Herman B. Itkoff in making such purchase. Itkoff is an optometrist and knew very little about real estate. He had known Rabkin socially and knew that he had been active in the real estate business. He was induced to join Rabkin in a real estate venture because he believed Rabkin had been successful in the past as a manager*181 of real estate.

On June 6, 1947, Isaac Rabkin, Herman B. Itkoff, and Itkoff's sister, Pearl Jurin, were the successful bidders at a sheriff's sale in case No. A-103330 of the Hamilton County, Ohio, Court of Common Pleas and purchased real estate known as the Lockwood Court Apartments located in Cincinnati, Ohio. This was a brick building containing 69 apartments, 4 stores, and a 36-car garage. The purchase price was $249,600, of which $10,000 was paid at the time of the sale. The terms of the sheriff's sale had required that $10,000 accompany each bid.

On June 7, 1947, Rabkin and Itkoff visited the office of their attorneys, Steer, Strauss and Adair, and made the initial arrangements for the incorporation of petitioner. The articles of incorporation were signed on June 7, 1947, and were filed with the Secretary of State, State of Ohio, on June 9, 1947. On June 16, 1947, Rabkin and Itkoff, together with their respective spouses and Pearl Jurin, assigned, set over, and transferred all their right, title and interest in Lockwood Court Apartments to the petitioner. This assignment was filed in the Court of Common Pleas on June 23, 1947. On that date the Common Pleas Court ordered that*182 a deed be delivered to petitioner for the premises involved upon payment of the balance then due on the purchase price, to-wit, $239,600.

On June 24, 1947, Rabkin subscribed for and received 10 shares of the stock of petitioner and Itkoff and Pearl Jurin each subscribed for and received 5 shares of such stock, all at a price of $500 per share. Itkoff, Rabkin and Paul W. Steer were elected directors of petitioner. Rabkin and Itkoff subsequently acted as president and treasurer, respectively. On that same date the petitioner executed a note and mortgage to the Columbus Mutual Life Insurance Company in the amount of $180,000 against said real estate. On that date Itkoff and Rabkin each advanced to petitioner $29,800. In exchange therefor petitioner executed two promissory notes (identical except for the names of Rabkin and Itkoff) as follows:

"PROMISSORY NOTE

Cincinnati, Ohio, June 24, 1947

"$29,800.00

"ON DEMAND after date, Lockwood Realty Corporation promises to pay to the order of Isaac Rabkin [Herman B. Itkoff], the sum of Twenty-nine Thousand Eight Hundred Dollars.

"This note is for value received, payable at Cincinnati, Ohio, and is identical with one issued this*183 day to Herman B. Itkoff [Isaac Rabkin] by the maker hereof, both of which notes are referred to in a Memorandum of Agreement between Herman B. Itkoff and Isaac Rabkin dated June 24, 1947.

"This note shall bear interest at the rate of five (5%) per cent per annum.

"Lockwood Realty Corporation

"By

Isaac Rabkin, President and Secretary

"Herman B. Itkoff Vice President and Treasurer"

Rabkin and Itkoff also entered into a memorandum agreement which is as follows:

"MEMORANDUM OF AGREEMENT

"WHEREAS, Isaac Rabkin and Herman B. Itkoff joined together to purchase the property located at 2543 Woodburn Avenue known as the Lockwood Court Apartments; and

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Cite This Page — Counsel Stack

Bluebook (online)
1958 T.C. Memo. 49, 17 T.C.M. 247, 1958 Tax Ct. Memo LEXIS 179, Counsel Stack Legal Research, https://law.counselstack.com/opinion/lockwood-realty-corp-v-commissioner-tax-1958.