Midland Fin. Co. v. Comm'r

2001 T.C. Memo. 203, 82 T.C.M. 371, 2001 Tax Ct. Memo LEXIS 233
CourtUnited States Tax Court
DecidedAugust 1, 2001
DocketNo. 12302-99; No. 4574-00
StatusUnpublished

This text of 2001 T.C. Memo. 203 (Midland Fin. Co. v. Comm'r) 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
Midland Fin. Co. v. Comm'r, 2001 T.C. Memo. 203, 82 T.C.M. 371, 2001 Tax Ct. Memo LEXIS 233 (tax 2001).

Opinion

MIDLAND FINANCIAL CO. AND SUBSIDIARIES, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Midland Fin. Co. v. Comm'r
No. 12302-99; No. 4574-00
United States Tax Court
T.C. Memo 2001-203; 2001 Tax Ct. Memo LEXIS 233; 82 T.C.M. (CCH) 371; T.C.M. (RIA) 54437;
August 1, 2001, Filed

*233 Decisions will be entered under Rule 155.

Steven T. Ledgerwood and Alan G. Holloway, for petitioner.
Ann L. Darnold and Michael J. O'Brien, for respondent.
Ruwe, Robert P.

RUWE

MEMORANDUM OPINION

RUWE, JUDGE: Respondent determined the following deficiencies in petitioner's Federal income taxes:

        TYE               Deficiency

        ___               __________

     July 31, 1995            $ 132,164

     July 31, 1996             123,604

     Dec. 31, 1996              52,851

After taking into consideration the agreed adjustments contained in the notice of deficiency for the years ending July 31, 1995 and 1996, the issue for decision is whether petitioner's deductions for expenses incurred in providing officers with nonbusiness flights on a company-owned airplane are limited by section 2741 to the amount reported as imputed income to the recipient officers.

*234 BACKGROUND

The parties submitted this case fully stipulated. The stipulation of facts and the attached exhibits are incorporated herein by this reference. Petitioner is a corporation that had its principal place of business in Oklahoma City, Oklahoma, at the time it filed its petition.

For the period in issue, petitioner had fiscal years ending July 31, 1995 and 1996. Petitioner also had a short taxable year beginning August 1 and ending December 31, 1996. Petitioner timely filed its Forms 1120, U.S. Corporation Income Tax Return, for the years in issue. Petitioner uses the accrual method of accounting for tax purposes.

Petitioner is principally engaged in the business of providing financial services. Petitioner's headquarters are located in Oklahoma City, and, through its subsidiaries, petitioner has retail bank locations throughout Oklahoma. Petitioner originates and services commercial, consumer, and residential loans throughout the country.

Midland Aviation Co. (Aviation) was a subsidiary of petitioner and filed consolidated Federal income tax returns with petitioner. On April 20, 1995, Aviation was liquidated and a Falcon 200 aircraft (the Falcon) owned by Aviation was transferred*235 to petitioner. During the years in issue, petitioner used the Falcon predominantly for business travel, but it was occasionally used for personal travel by George and Jeff Records (the Recordses), two corporate officers of petitioner. Petitioner kept accurate records that indicate the nature of the flights of the Falcon. 2

The personal use of the Falcon was treated as compensation to the Recordses. On the basis of the valuation rules set forth in section 1.61-21(g), Income Tax Regs.*236 , petitioner properly determined that the value of the personal use to the Recordses was $ 48,424, $ 45,076.57, and $ 14,916, respectively, for the taxable years ending July 31, 1995, July 31, 1996, and the short taxable year ending December 31, 1996. Petitioner reported these amounts on the Recordses' respective Forms W-2, Wage and Tax Statement, as wages subject to withholding, and the Recordses reported these amounts as compensation on their respective individual income tax returns. The personal use of the Falcon served to compensate the Recordses for their services as employees of petitioner and did not constitute constructive dividends to them. The amounts of compensation paid to the Recordses during the years in issue, including the value of the personal use of the Falcon, were reasonable.

On its Federal income tax returns, petitioner deducted the following amounts with respect to the operation of the Falcon:

        TYE              Amount

        ___              ______

     July 31, 1995         $ 2,126,223.00

     July 31, 1996          1,282,081.52

*237      Dec. 31, 1996           530,957.18

                     ____________

      Total             3,939,261.70

The amounts deducted by petitioner include the amounts treated as compensation to the Recordses for the personal use of the Falcon. Respondent disallowed petitioner's deductions related to the Falcon to the extent that the portion of the deduction amounts attributable to the personal use of the Falcon exceeded the amounts treated as compensation to the Recordses for such use. 3

DISCUSSION

The parties agree that the value of the personal use of the Falcon is reportable by the Recordses as compensation and that petitioner is entitled to deduct some amount in connection*238 with that use. Respondent argues that the amounts of petitioner's deductions attributable to the personal use of the Falcon are limited to the amounts reported as wages to the Recordses for such use. Petitioner argues that the portion of petitioner's deduction attributable to the personal use of the Falcon is not limited to the amounts reported as wages to the Recordses in connection with the personal use.

Section 162(a)

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Cite This Page — Counsel Stack

Bluebook (online)
2001 T.C. Memo. 203, 82 T.C.M. 371, 2001 Tax Ct. Memo LEXIS 233, Counsel Stack Legal Research, https://law.counselstack.com/opinion/midland-fin-co-v-commr-tax-2001.