Miller v. Commissioner

1980 T.C. Memo. 445, 41 T.C.M. 139, 1980 Tax Ct. Memo LEXIS 140
United States Tax Court·Decided October 6, 1980·No. Docket No. 1181-78.·Unpublished·Cited by 1 cases

Opinion

THEODORE C. MILLER AND VIVIAN MILLER, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, RESPONDENT
Miller v. Commissioner
Docket No. 1181-78.
United States Tax Court
T.C. Memo 1980-445; 1980 Tax Ct. Memo LEXIS 140; 41 T.C.M. (CCH) 139; T.C.M. (RIA) 80445;
October 6, 1980, Filed
*140

Petitioners' wholly-owned corporation transferred funds to petitioners during the years before the Court; some of these transfers were repaid during these years. Non-interest-bearing unsecured demand notes were executed by petitioners for the remaining transfers. Petitioners worked full-time for the corporation but received no compensation for their services. Also the corporation paid them no formal dividends during the years before the Court. Subsequently, petitioners repaid the remaining transfers.

Held: On the basis of the record herein, the net transfers were loans and not constructive dividends.

James R. Addison, for the petitioners.
Donald W. Mosser, for the respondent.

CHABOT

MEMORANDUM FINDINGS OF FACT AND OPINION

CHABOT, Judge: Respondent determined deficiencies in Federal individual income tax against petitioners for 1971, 1972, and 1973 in the amounts of $4,053.39, $6,369.62, and $18,448.14, respectively.

After respondent's concession of one issue, the issue for decision is whether net transfers to petitioners from their wholly-owned corporation were loans (not taxable to petitioners in the years before the Court) or constructive dividends (includible in petitioners' *141 gross income under section 61(a)(7)1 in these years).

FINDINGS OF FACT

Some of the facts have been stipulated; the stipulation and the stipulated exhibits are incorporated herein by this reference.

When the petition in this case was filed, petitioners Theodore C. Miller (hereinafter sometimes referred to as "Theodore") and Vivian Miller (hereinafter sometimes referred to as "Vivian"), husband and wife, resided in Marietta, Ohio.

Miller's of Marietta, Inc. (hereinafter referred to as "the Corporation"), was incorporated under the laws of Ohio on August 1, 1967; from this date until the trial in the instant case, petitioners have been the Corporation's sole common shareholders and have always been members of the Corporation's board of directors. During 1971 through 1973, Theodore was president of the Corporation and Vivian was its treasurer.

Petitioners worked full-time for the Corporation. Vivian supervised the Corporation's employees and handled its financial affairs, and Theodore did the maintenance work. Neither Vivian nor Theodore *142 received wages or other compensation from the Corporation. The Corporation did not pay any formal dividends to petitioners from the date of its incorporation through the years in issue.

The Corporation's initial business activities involved the operation of a beer and wine carry-out store (the Hi-Lo Carryout), a drive-in restaurant (the B & K Drive-in Restaurant), and an ice cream store (Cone an Shake). The Corporation leased the land, buildings, and most of the assets of all three businesses from petitioners.

In 1970, the Corporation ceased operation of the beer and wine carry-out store and petitioners sold the real estate and other assets of that business at a gain in an installment sale. Petitioners received from this sale $2,350 in 1971, $2,435 in 1972, and $2,546.25 in 1973.

In August 1973, the Corporation ceased operation of the drive-in restaurant, and petitioners sold the real estate and most of the other assets of that business for $190,000.

In 1974, the Corporation ceased operation of the ice cream store and petitioners sold the real estate, building, and equipment of that business.

Beginning in 1969, the Corporation made transfers to petitioners, and petitioners *143 repaid some of these transfers, as set forth in table 1.

Table 1

Amount
Date 2TransferredRepaymentBalance
1969
Dec. 1$ 9,6000$ 9,600
Dec. 200$ 3,0006,600
Dec. 242,00008,600
1970
Jan. 502,0006,600 *
Apr. 209,000*015,600
Apr. 2701,60014,000
Aug. 34,000 *0

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Miller v. Commissioner, 1980 T.C. Memo. 445, 41 T.C.M. 139, 1980 Tax Ct. Memo LEXIS 140 (tax 1980).

1980 T.C. Memo. 445 (Miller v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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