McIntosh v. Commissioner

1967 T.C. Memo. 230, 26 T.C.M. 1164, 1967 Tax Ct. Memo LEXIS 31
CourtUnited States Tax Court
DecidedNovember 17, 1967
DocketDocket Nos. 2529-65, 2530-65.
StatusUnpublished

This text of 1967 T.C. Memo. 230 (McIntosh 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
McIntosh v. Commissioner, 1967 T.C. Memo. 230, 26 T.C.M. 1164, 1967 Tax Ct. Memo LEXIS 31 (tax 1967).

Opinion

Sam F. McIntosh and Nancy S. McIntosh v. Commissioner. William M. McIntosh, Jr. and Thanetta McIntosh v. Commissioner.
McIntosh v. Commissioner
Docket Nos. 2529-65, 2530-65.
United States Tax Court
T.C. Memo 1967-230; 1967 Tax Ct. Memo LEXIS 31; 26 T.C.M. (CCH) 1164; T.C.M. (RIA) 67230;
November 17, 1967
*31

1. Held, except for one share of stock of subchapter S corporation in which Sam McIntosh had a basis of $200, petitioners had no basis in their shares of stock of, or in any indebtedness owed to them by, the subchapter S corporation as of March 31, 1959; consequently, petitioners are not entitled to deduct their pro rata shares of the net operating loss of the company for its fiscal year ending March 31, 1959, except to the extent of the $200 mentioned above.

2. Non-negotiable notes received by Sam McIntosh in year of sale of his stock in corporation, which were not payable until subsequent years, were not intended as payment for the stock, but only as evidence of the indebtedness due therefor, and the fair market value of the notes was not an amount realized in exchange for the stock and is not includable in Sam's income for the year of sale.

Howell C. Mette, 6th Floor, 400 N. Third St., Harrisburg, Pa., for the petitioners. Stephen P. Cadden, for the respondent.

DRENNEN

Memorandum Findings of Fact and Opinion

DRENNEN, Judge: Respondent determined a deficiency in the income tax of Sam F. McIntosh and his wife, Nancy, for the year 1959 in the amount of $29,596.23. Respondent also *32 determined a deficiency in the income tax of William F. McIntosh, Jr., and his wife, Thanetta, for the year 1959 in the amount of $2,908. At issue in both dockets is petitioners' basis in stock of, and indebtedness owing them by, McIntosh Road Materials Co. for purposes of determining petitioners' allowable deductions for the net operating loss of that company, a subchapter S corporation. Sam F. and Nancy McIntosh have raised the additional issue of whether income was properly reported in 1959 from certain notes received with respect to stock sold during that year.

Findings of Fact

The stipulated facts are found as stipulated.

Petitioners Sam F. McIntosh and Nancy S. McIntosh (hereafter referred to as Sam and Nancy) are husband and wife and presently reside in Harrisburg, Pa. Sam and Nancy filed a timely joint income tax return for the calendar year 1959 with the district director of internal revenue at Philadelphia, Pa.

Petitioners William M. McIntosh, Jr., and Thanetta McIntosh (hereafter referred to as William, Jr., and Thanetta) are husband and wife and presently reside in Decatur, Ga. William, Jr., and Thanetta filed a timely joint income tax return for the calendar year 1959 *33 with the district director of internal revenue at Philadelphia, Pa.

All petitioners reported their income for the calendar year 1959 on the cash receipts and disbursements method.

McIntosh Road Materials Co. (hereafter referred to as McIntosh Co.) is a Pennsylvania corporation organized May 1, 1949. During all relevant periods, the company's principal place of business was Harrisburg, Pa. McIntosh Co. was organized by William M. McIntosh, Sr. (hereafter referred to as William, Sr.), the father of Sam and William, Jr., for the purpose of selling and applying road materials. Sam began working for McIntosh Co. in 1950 and William, Jr., did so in 1953.

Throughout McIntosh Co.'s fiscal year April 1, 1958, through March 31, 1959 (hereafter referred to as fiscal year 1959), the company's 1,000 issued and outstanding shares of $10-par-value common stock were held as follows:

Number of
shares
Sam (president)550
William, Jr. (vice-president)400
Jack D. Murphy (secretary-treas-
urer) 150

The above individuals became owners of this stock under the circumstances hereinafter related. *34 With the exception respecting two shares of stock acquired by Sam hereinafter mentioned, neither Sam nor William, Jr., paid any money for their shares of McIntosh Co. stock owned by them as of March 31, 1959, and neither of them made any actual cash contributions to the company.

For its fiscal year 1959, McIntosh Co. qualified as a small business corporation under the provisions of subchapter S of the Internal Revenue Code of 1954. All of McIntosh Co.'s shareholders made valid elections to have the company file returns under subchapter S for the fiscal year 1959. For its fiscal year 1959, McIntosh Co. had a net operating loss of $118,848.71. This net operating loss is claimed by petitioners, and denied by respondent, to be allocable among the shareholders as follows:

Amount
Sam$65,366.79
William, Jr.31,539.48 2
Murphy5,942.44

On their return for 1959, Sam and Nancy reported taxable income in the amount of $4,619.32. *35

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Bluebook (online)
1967 T.C. Memo. 230, 26 T.C.M. 1164, 1967 Tax Ct. Memo LEXIS 31, Counsel Stack Legal Research, https://law.counselstack.com/opinion/mcintosh-v-commissioner-tax-1967.