Mitchell v. Commissioner

1972 T.C. Memo. 219, 31 T.C.M. 1077, 1972 Tax Ct. Memo LEXIS 38
United States Tax Court·Decided October 25, 1972·No. Docket Nos. 2545-69, 2599-69, 2600-69, 4351-69, 4352-69, 4353-69, 4381-69, 4392-69, 1550-70, 1551-70.·Unpublished

Opinion

Jessie B. Mitchell, et al., 1 v. Commissioner.
Mitchell v. Commissioner
Docket Nos. 2545-69, 2599-69, 2600-69, 4351-69, 4352-69, 4353-69, 4381-69, 4392-69, 1550-70, 1551-70.
United States Tax Court
T.C. Memo 1972-219; 1972 Tax Ct. Memo LEXIS 38; 31 T.C.M. (CCH) 1077; T.C.M. (RIA) 72219;
October 25, 1972
Leonard A. Marcussen, 1924 Broadway, Oakland, Calif., for the petitioners. Eugene H. Ciranni and David L. Gibson, for the respondent.

RAUM

Memorandum Findings of Fact and Opinion

The Commissioner determined deficiencies in petitioners' income tax as follows:

PetitionerYearDeficiency
Jessie B. Mitchell Docket No. 2545-691965$19,493.30
John R. Mitchell, deceased, by his surviving spouse and representative, Bon- nie Mitchell, and Bonnie Mitchell
Docket No. 2599-69196511,392.26
Harry C. Allen and Velma N. Allen
Docket No. 2600-6919659,590.12
Donovan J. McCune Docket No. 1550-70196522,345.05
Dorothy M. Dicken Docket No. 1551-70196511,206.06
*40 The Commissioner also determined a deficiency ($104,683.24) and an addition to tax ($26,170.81) for 1965 against the Elton Corporation, in respect of which he further determined that petitioners, as transferees of the assets of the Elton Corporation, were accordingly liable in the following amounts to the extent of the value of the property received by them:
PetitionerTransferee
Liability
Jessie B. Mitchell Docket No. 4353-69$77,779.17
John R. Mitchell, deceased, by his surviving spouse and representative, Bonnie Mitchell, and Bonnie Mitchell
Docket No. 4382-6958,334.38
Harry C. Allen and Velma N. Allen Docket No. 4381-6958,334.38
Donovan J. McCune Docket No. 4352-6977,779.17
Dorothy M. Dicken Docket No. 4351-6938,889.59
1078 The primary issue for decision is whether the Elton Corporation complied with the provisions of section 337, I.R.C. 1954, and thereby did not itself recognize any gain as a consequence of the sale of a tract of land, which comprised the principal part of its assets, or cause petitioners in their individual capacities to recognize dividend income in respect of certain distributions to them. Cf. *41section 331, I.R.C. 1954.

Findings of Fact

The parties have stipulated certain facts, which, together with the accompanying exhibits, are incorporated herein by this reference.

All of the petitioners herein (as well as John R. Mitchell, deceased) were closely related or associated by blood, marriage or friendship and each held either individually or jointly stock interests in the Elton Corporation. Petitioners Jessie B. Mitchell, Donovan J. McCune and Dorothy M. Dicken each filed individual Federal income tax returns for the calendar year 1965 with the district director of internal revenue at San Francisco, California. Petitioners Harry C. Allen and Velma N. Allen are husband and wife, and they filed a joint Federal income tax return for 1965 with the district director of internal revenue at San Francisco, California. Petitioner Bonnie Mitchell and her husband, John R. Mitchell, also filed a joint Federal income tax return for 1965 with the district director of internal revenue at San Francisco, California. John R. Mitchell died on May 14, 1968, and Bonnie Mitchell is his representative herein.

All of the petitioners resided in the State of California*42 at the time of the filing of their respective petitions herein.

On November 28, 1955, petitioners 2 purchased 77.97 acres of undeveloped land located east of, and adjacent to the City of Petaluma, California (sometimes referred to hereinafter as the "City"), as tenants-incommon with the following individual interests and cost bases:

Undivided
InterestBasis

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Mitchell v. Commissioner, 1972 T.C. Memo. 219, 31 T.C.M. 1077, 1972 Tax Ct. Memo LEXIS 38 (tax 1972).

1972 T.C. Memo. 219 (Mitchell v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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