Marian Foundation v. Commissioner

1960 T.C. Memo. 18, 19 T.C.M. 99, 1960 Tax Ct. Memo LEXIS 272
CourtUnited States Tax Court
DecidedFebruary 15, 1960
DocketDocket No. 76233.
StatusUnpublished

This text of 1960 T.C. Memo. 18 (Marian Foundation 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
Marian Foundation v. Commissioner, 1960 T.C. Memo. 18, 19 T.C.M. 99, 1960 Tax Ct. Memo LEXIS 272 (tax 1960).

Opinion

The Marian Foundation v. Commissioner.
Marian Foundation v. Commissioner
Docket No. 76233.
United States Tax Court
T.C. Memo 1960-18; 1960 Tax Ct. Memo LEXIS 272; 19 T.C.M. (CCH) 99; T.C.M. (RIA) 60018;
February 15, 1960
Roger K. Powell, Esq., 17 South High Street, Columbus, Ohio, for the petitioner. William O. Allen, Esq., for the respondent.

TIETJENS

Memorandum Findings of Fact and Opinion

TIETJENS, Judge: Involved in this proceeding are deficiencies in income tax and additions thereto, for the years and in the amounts as set forth below:

Year EndedAdditions to Tax
April 30DeficiencySec. 6651(a)
1955$ 9,065.69$1,813.14
195613,172.193,293.05

The issues are: (1) Whether, during the years in issue, petitioner was an exempt organization within the meaning of section 501(c)(3) of the 1954 Code; *275 if so (2) whether it realized unrelated business income during those years taxable under the provisions of section 511 of the 1954 Code; and (3) whether it is liable for additions to tax under section 6651(a) of the 1954 Code for failure to file timely income tax returns.

Some of the facts were stipulated.

Findings of Fact

The stipulated facts are so found, and are incorporated herein by this reference.

The Marian Foundation (hereafter referred to as the petitioner) was organized under the laws of Ohio relating to not-for-profit corporations on May 15, 1954. It filed delinquent Federal income tax returns (Form 1120) for its taxable years 1955 and 1956 with the district director of internal revenue at Columbus, Ohio.

On January 27, 1952, Raymond Bauschard, a secular priest of the Roman Catholic Church, and Harry Haney created the John Waldo Trust No. 1 to hold title to a tract of land purchased by them known as the Snider Farm. Bauschard owned a two-thirds interest in this property, and Haney, a one-third interest. Subsequently, all except the front part of this property was leased to the Rosary Development Company for development into residential lots. This front portion*276 of the property was reserved by its owners for future development. The Development Company, after subdividing and improving the leased property, then sold lots to various builders in the community, retaining a portion of the sales proceeds and remitting the balance to the Trust. The Development Company was an Ohio corporation engaged in the business of subdividing, improving, developing and selling urban real estate. Its stock was owned: 60 per cent by Edward Tonti; 20 per cent by Richard Albanese; and 20 per cent by Estel Gifford.

Late in 1953, Bauschard found himself in the possession of certain properties in which he had no personal interest, and which he felt could be committed to various religious and charitable uses. Among these properties was his interest in the reserved portion of the Snider Farm. Further he wished at this time to aid in the establishment of a convent and school for the Sisters of St. Joseph in the Columbus area, as well as the construction of a Catholic high school in the west end of that City. He estimated the cost of the convent and school at some $250,000, and the cost of the high school anywhere from $200,000 to $1,000,000.

After seeking legal advice*277 as to the best manner in which to put his property to charitable uses, as well as to embark upon the desired accumulation of funds, Bauschard organized the petitioner. As revealed by its articles of incorporation, its stated purpose was:

"To receive and administer funds for scientific, educational, religious and charitable purposes, all for the public welfare and for no other purposes, and to that end the corporation shall have the power and authority to borrow money and to receive, buy, pledge, mortgage, encumber, sell, lease and otherwise acquire by gift, devise or inheritances, real and personal property of any kind and character necessary to promote the objects of the corporation and to hold, use, pledge, mortgage, encumber, sell, invest and re-invest the same and collect and disburse the income and principal for such purposes. A recitation in any deed of conveyance made by the corporation that the sale has been authorized by a majority of the Board of Directors shall protect the purchaser of such property. And in general, to exercise any, all and every power for which a nonprofit corporation known as a foundation organized under the provisions of the Ohio Corporation Act for*278 scientific, educational, religious and charitable purposes all for the public welfare can be authorized to exercise by no other power. No part of the activities of this corporation should be the carrying on of propaganda, or otherwise attempting to influence legislation."

Should the corporation be dissolved or terminated its assets were to be distributed solely for charitable purposes. Its By-Laws provided for corporate officers who were to serve without compensation.

Petitioner has no stock or stockholders.

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Bluebook (online)
1960 T.C. Memo. 18, 19 T.C.M. 99, 1960 Tax Ct. Memo LEXIS 272, Counsel Stack Legal Research, https://law.counselstack.com/opinion/marian-foundation-v-commissioner-tax-1960.