Michael G. Jolin and Susan P. Jolin v. Commissioner of Internal Revenue

869 F.2d 1491, 1989 U.S. App. LEXIS 20611, 1989 WL 23548
CourtCourt of Appeals for the Sixth Circuit
DecidedMarch 17, 1989
Docket85-1764
StatusUnpublished

This text of 869 F.2d 1491 (Michael G. Jolin and Susan P. Jolin v. Commissioner of Internal Revenue) is published on Counsel Stack Legal Research, covering Court of Appeals for the Sixth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Michael G. Jolin and Susan P. Jolin v. Commissioner of Internal Revenue, 869 F.2d 1491, 1989 U.S. App. LEXIS 20611, 1989 WL 23548 (6th Cir. 1989).

Opinion

869 F.2d 1491

Unpublished Disposition
NOTICE: Sixth Circuit Rule 24(c) states that citation of unpublished dispositions is disfavored except for establishing res judicata, estoppel, or the law of the case and requires service of copies of cited unpublished dispositions of the Sixth Circuit.
Michael G. JOLIN and Susan P. Jolin et al., Petitioners-Appellants,
v.
COMMISSIONER OF INTERNAL REVENUE, Respondent-Appellee.

No. 85-1764.

United States Court of Appeals, Sixth Circuit.

March 17, 1989.

Before NATHANIEL R. JONES, MILBURN and BOGGS, Circuit Judges.

BOGGS, Circuit Judge.

In a consolidated case, respondent determined deficiencies in federal income tax for the 1978 calendar year against taxpayers Michael G. and Susan P. Jolin ("Jolins" or "Jolin") and Charles F. and Patricia G. Witte ("Wittes" or "Witte"). The Tax Court upheld the deficiencies on the grounds that the petitioners were shareholders in a corporation, Builder's Service Group of Ohio, Inc. (BSG Ohio), which was a general partner in certain limited partnerships for development and construction of real estate projects. Furthermore, the court held that various guaranteed payments and fees for services should have been included in the corporation's income for 1978 because all of the events had occurred to determine the liability for payment of the guaranteed payments to each of the limited partnerships by the end of the tax year. In addition, the corporation was determined to be a valid Subchapter S corporation during the tax years in question. This was so because Builder's Service Group of West Virginia (BSG W.Va.), a second corporation which reported its transactions as those of BSG Ohio, was determined not to be an affiliate of BSG Ohio. Thus, the two corporations were not entitled to file consolidated tax returns. Finally, the Tax Court held that the petitioners each owned one-half of BSG Ohio during the relevant time period.

We hold that the guaranteed payments should have been included in the general partner's income, and that there was a valid Subchapter S corporation in that the corporations were unaffiliated, and BSG Ohio issued only one class of stock. Further, we agree that Jolin and Witte each maintained a one-half ownership interest in BSG Ohio during the years in question. Thus, we affirm the Tax Court.

* Respondent determined deficiencies in federal income tax for the calendar year 1978 of $164,729.96 for Michael G. Jolin and Susan W. Jolin, husband and wife, and $151,615.52 for Charles Witte and Patricia G. Witte, also husband and wife. The deficiencies relate to a 50 percent interest that the Wittes and Jolins each held in Builder's Service Group of Ohio, Inc. a Subchapter S corporation. The taxpayers contested their ownership interests in BSG Ohio, as well as the Subchapter S status of the corporation and the corporation's status as general partner of a number of limited partnerships.

The principals in this dispute regarding the liabilities of the Jolins and Wittes for the tax year 1978 are the Jolins and Wittes themselves; Carl J. Monastra, a Certified Public Accountant; Earl B. Willhoit, a dentist and friend of Monastra; four limited partnerships named Madison, Ltd., Narrows Ltd., Romney Ltd., and Manitowoc Ltd.; two corporations, BSG Ohio and BSG W.Va.; and an investor group, Buckeye Investors, Ltd. The facts recited here are consistent with those reported in the Tax Court opinion.

Michael G. Jolin and Charles F. Witte formed BSG Ohio, an Ohio corporation, on September 30, 1976. BSG Ohio, through Jolin and Witte, engaged in the business of real estate development, including the construction of housing projects subsidized by the United States Government through Farmer's Home Administration (FmHA) under Section 515 of the Act authorizing loans by that agency; the United States Department of Housing and Urban Development under Section 8 of the Act authorizing loans by that agency; and with a view toward arranging Section 221(d)(4) loan guarantee programs also under the latter agency's programs. On September 30, 1976, BSG Ohio filed an election to be taxed under the provisions of Subchapter S of the Internal Revenue Code. It reported its income on a cash basis, and adopted a fiscal year ending June 30.

In 1976 and 1977, Jolin and Witte formed and syndicated the four previously mentioned limited partnerships for real estate development. Jolin and Witte issued prospectuses describing the proposed real estate projects, the sources of financing from construction and mortgage loans, and various guaranteed payments for organizational fees and services to the general partner. The dates that these partnerships were formed, their purpose, and the names of their shareholders and other relevant information taken from the prospectuses are contained in the following table:

 * * *
 * * *Name of          Place where     Source          # of   When
Partner-         Apartments      of              apt.   formed
ship             were to be      financing       units
                 built
Madison, Ltd.    Madison, Va     FmHa             24    12/17/76
Romney, Ltd.     Romney, W.Va.   FmHa             36    12/76
Manitowoc, Ltd.  Manit'c, Wisc.  HUD Secs. 8 & 221   48    1/15/77
Narrows, Ltd.    Narrows, W.Va.  FmHa             32    12/15/77
Price of                   Names of           Amount invested        Documents
units/min.                 Investors             and date              Filed
units
$1,000/$10,000          Marvin Bryant;          $10,000             Amended
(Madison)               James and                                   Limited
                        Audra                                       Partnership
                        Black;                  $20,000             Agreement
                        Daniel                                      5/26/77
                        S. Grayson;             $20,000
                        James
                        McElroy;                $20,000
                        James E.
                        Kempe.                  $50,000
$1,000/$22,500 Carl J.                                              Limited
(Romney)                Monastra;               $11,250             Partnership
                        Vincent M.                                  Certificate
                        Panichi;                $11,250             9/1/77
                        Frederick T.                                Hampshire
                        Forster;                $22,500             County,
                        Phillip G.                                  W.Va.
                        Fankhauser;             $22,500
                        James J.
                        Hamman;                 $22,500
                        James A.
                        McElroy.                $22,500
$1,000/$22,500          James V.               $278,400             Amended
(Matinowoc)             Farina.                                     Limited
                                                                    Partnership
                                                                    Certificate
                                                                    12/30/77
                                                                    Fairfield
                                                                    County,
                                                                    Ohio
$1,000/$34,800          Anthony J. 

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869 F.2d 1491, 1989 U.S. App. LEXIS 20611, 1989 WL 23548, Counsel Stack Legal Research, https://law.counselstack.com/opinion/michael-g-jolin-and-susan-p-jolin-v-commissioner-o-ca6-1989.