McDaniel v. Commissioner

1977 T.C. Memo. 256, 36 T.C.M. 1037, 1977 Tax Ct. Memo LEXIS 185
CourtUnited States Tax Court
DecidedAugust 8, 1977
DocketDocket No. 8270-74
StatusUnpublished

This text of 1977 T.C. Memo. 256 (McDaniel 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
McDaniel v. Commissioner, 1977 T.C. Memo. 256, 36 T.C.M. 1037, 1977 Tax Ct. Memo LEXIS 185 (tax 1977).

Opinion

W. R. McDANIEL and GEORGINA McDANIEL, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
McDaniel v. Commissioner
Docket No. 8270-74
United States Tax Court
T.C. Memo 1977-256; 1977 Tax Ct. Memo LEXIS 185; 36 T.C.M. (CCH) 1037; T.C.M. (RIA) 770256;
August 8, 1977, Filed
W. R. McDaniel, pro se.
Charles H. Cowley, for the respondent.

GOFFE

MEMORANDUM FINDINGS OF FACT AND OPINION

GOFFE, Judge: The Commissioner determined deficiencies in Federal income tax of petitioners as follows:

Taxable YearAmount
1969$96,230
19712,439
19727,951

Due to concessions the only issue remaining for our decision is whether $160,191.10 obtained by W.R. McDaniel from the Summers brothers' partnership is includible in petitioners' income pursuant to section 61, Internal Revenue Code of 1954. 1

FINDINGS OF FACT

Some of the facts have been stipulated. The stipulation of facts and supplemental stipulation of facts and attached exhibits are incorporated herein by reference.

*186 Mr. and Mrs. McDaniel (petitioners) were husband and wife and resided in Idaho Falls, Idaho, when their petition was filed herein. Petitioners filed joint Federal income tax returns with the Western Regional Service Center, Ogden, Utah, for the taxable years 1969, 1971 and 1972. Subsequent to the filing of the petition herein, petitioners filed amended joint Federal income tax returns for the taxable years 1969, 1971 and 1972.

In 1968 Mr. McDaniel contacted Mr. Roy Summers of Sugar City, Idaho, to negotiate a purchase of potato crops from Mr. Summers and his two brothers, Frank and Bert Summers. The Summers brothers are potato farmers in Idaho and operate their farming business as a partnership. Mr. McDaniel contacted the Summers brothers and represented that they could defer recognition of income from a portion of their 1968 potato crop if they would sell the crop to him under a contract calling for payment three years from the date of the actual sale. Mr. McDaniel and his attorney, Keith Jergensen, convinced the Summers that they could defer the recognition of income by explaining Revenue Ruling 58-162. 2 Pursuant to the discussion Mr. McDaniel and the Summers*187 brothers entered into an agreement dated March 1, 1969, whereby the Summers brothers agreed to sell the 1968 potato crop to Mr. McDaniel with the purchase price for the potatoes to be paid on March 20, 1971. On August 1, 1969, the parties agreed upon a purchase price of $160,000. The agreement called for the creation of a trust under the name of AAMDICO with Mr. McDaniel acting as trustee. Mr. McDaniel promised to pay the Summers brothers $160,000 plus a 20 percent interest in "something." Mr. McDaniel told Roy Summers that the agreement could not reflect any additional interest (the additional 20 percent interest) in the purchase price because to do so would disqualify the deferral of income.

*188 The potato crop was transferred to the trust under the direction of Mr. McDaniel. On July 10, 1969, the Summers brothers sold a portion of the transferred potatoes to R. Belso Co. and received $136,801.50. The Summers brothers sold the balance of the potato crop to Muir-Roberts Co. on November 10, 1969, for a purchase price of $23,384.60. When the initial payment from the sale to R. Belso Co. was received, Mr. Roy Summers, Mr. McDaniel and Mr. Jergensen flew to Bozeman, Montana, to deposit the check in an account styled, "W.R. McDaniel, trustee for AAMDICO." The payment from the sale of the remaining potatoes was also deposited in the same account at the direction of Mr. McDaniel. The Summers brothers paid Federal income tax on the sale of the potatoes in 1969 because the Commissioner issued a statutory notice of deficiency to them in which he determined that they had constructively received the proceeds from the sale of the potatoes in 1969.

Mr. McDaniel was involved in the business of real estate sales and development during the taxable years in question. The trade name, AAMDICO, was a name he personally used in conducting such business activity. This business activity*189 (AAMDICO) was not incorporated at the time the potatoes were transferred nor has it been a corporation at any time since. In addition, Mr. McDaniel conducted business under the name of Yellowstone Development Co. which was never incorporated. On July 10, 1969, the same day the initial payment from the sale of potatoes was deposited in the AAMDICO account, Mr. McDaniel drew a check from this account in the amount of $10,000, payable to Yellowstone Development Co. (operating account).

On September 5, 1969, Mr. McDaniel entered into an agreement with Destination, Inc., whereby Destination, Inc. as sole shareholder of Destination Enterprises, Inc. (D.E.I.) 3 would sell to Mr. McDaniel all of the D.E.I. stock for a purchase price of $150,000 and other stock owned by Mr. McDaniel. Mr. McDaniel as trustee of AAMDICO placed $125,000 in an escrow account with Mr. Jergensen acting as escrow agent. The money ($125,000 was to be released to Destination, Inc. and the stock (D.E.I.) delivered to Mr. McDaniel upon payment of the final $25,000. Mr. Jergensen could not release the $125,000 to Destination, Inc.

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Bluebook (online)
1977 T.C. Memo. 256, 36 T.C.M. 1037, 1977 Tax Ct. Memo LEXIS 185, Counsel Stack Legal Research, https://law.counselstack.com/opinion/mcdaniel-v-commissioner-tax-1977.