Myers v. Commissioner

11 T.C. 447, 1948 U.S. Tax Ct. LEXIS 74
United States Tax Court·Decided September 28, 1948·No. Docket Nos. 914, 3216·Published·Cited by 16 cases

Opinions

Harlan, Judge:

The Commissioner determined deficiencies in Federal income tax for the years 1940 and 1941 in the respective amounts of $123,209.49 and $223,662.30. Three questions are presented:

(1) Whether the income received by the petitioner during the taxable years 1940 and 1941 under contracts with various public utility districts is subject to taxation under the limitations provided by section 107 of the Internal Revenue Code.

(2) Whether the contract income received by the petitioner from the public utility districts for the years 1940 and 1941 constituted community income of petitioner and his wife under the laws of the State of Washington, taxable one-half to each spouse, or whether it constitutes the separate income of the petitioner.

(3) Whether petitioner is entitled to deduct from his income for the year 1940 as an expense or otherwise the sum of approximately $32,000 repaid by him in that year to an individual who had advanced that sum to the petitioner in the years 1938 and 1939.

FINDINGS OF FACT.

Petitioner Guy C. Myers filed his income tax returns for the years 1940 and 1941 with the collector of internal revenue for the district of Washington. In those returns he gave his address as Seneca and Fourth Streets, Seattle, Washington. He was fifty years of age in 1940.

Myers had attended the Universities of Pennsylvania and Wisconsin for a total of three years. Thereafter, and while a resident of Montana, he began buying and selling utility bonds and in 1932 he acquired desk space in an office in New York City. In 1936 he occupied an office suite in Wall Street, and he continued to maintain that office up to the time of the hearing.

In 1932 J. D. Eoss, who was then head of the City Light Department of Seattle, hereinafter referred to as City Light, and other individuals connected with this publicly owned utility, went to New York to engage the services of petitioner in order to procure a substantial loan for the development of the power facilities of City Light. Serious difficulties had been encountered in financing this project, due to the fact that a privately owned utility, the Puget Sound Power & Light Co., hereinafter referred to as Puget Sound, competed with the municipally owned City Light within the city of Seattle. Nevertheless, Myers procured the required loan from a banking firm. During these negotiations Eoss and Myers conceived the plan of the purchase of the facilities of Pudget Sound by City Light, and Myers began some exploratory investigations which involved, in 1932, a visit to Seattle.

In August 1934, at the suggestion of Eoss, petitioner went to Seattle to conduct operations on the purchase of the Puget Sound utility, intending to devote as much time as necessary to develop this project. At the time of the hearing Myers was still working on this purchase and sale on behalf of City Light on a contingent fee basis, but no purchase had at that time been made.

The plan of operation was that the city of Seattle would sponsor the purchase of the entire Puget Sound system, inasmuch as that company refused to sell anything less than its entire plant and equipment, and after the purchase it- was planned to liquidate all of the facilities not needed for the service of Seattle and the surrounding territory to public utility districts thereafter to be created out of the remaining portion of the territory served by Puget Sound. It was planned by Myers, Boss, and others connected with City Light that petitioner would be paid for his services by the public utility districts, hereinafter referred to as PUDS, or by the city of Seattle as the property of Puget Sound was proportionately acquired by the respective units.

Petitioner made repeated trips through the counties served by Puget Sound endeavoring to educate the people in the desirability of public ownership and advising groups as to the steps to be taken to create PUDS. In this work petitioner also conferred with groups of other counties either wholly served by utility companies other than Puget Sound or only slightly served by Puget Sound. In these counties plans were developed to purchase the light companies serving the various counties either by contract or by condemnation and also to construct publicly owned power plants where purchase was not practicable.

By 1937 the actual creation of PUDS began and thereafter petitioner procured from these county units written contracts setting forth the terms and conditions by which Myers would work on the purchase or condemnation of various privately owned power facilities or in the financing and erecting of new power plants on a commission basis. These contracts were alike in essential characteristics. They referred to Myers as “the banker” or as “fiscal agent.” He was required to' advise and assist in the creation of the district, to cash expense warrants for the district up to a specified percentage, to market and sell the bonds, to employ and pay a designated legal firm, and also to employ a fiscal agent. In the event the condemnation, purchase, or erection of contemplated power facilities was not carried out by the district after the banker had performed his work, it was provided in the contract:

The district shall pay to the banker the expenses which he shall have incurred in performing the services stated in behalf of the district, including reasonable fees for reasonable services.

Otherwise, his percentage compensation was declared to be in full payment for all of his services and expenses. No compensation was ever expected by Myers or received by him from the sellers of the power facilities. The Pacific County PUD and Cowlitz County PUD were created in 1937. . The Grays Harbor PUD was created in 1938.

On October 15,1941, petitioner reported to the Tax Commission of Washington that a $40,000 gift which he was making to his daughter came “from assets acquired by me from earnings made during the years 1939, 1940, and 1941, * * * from my activities in aiding the financing of various public power districts in the purchase of facilities from private power companies in the State of Washington and elsewhere.”

When Myers went to Seattle in 1934 a PUD was already in existence in Mason County, Washington. This territory was served by a small privately owned plant and shortly after Myers went to Seattle in August of 1934 the manager and the commissioners of the Mason County PUD went to Seattle to consult Myers and to solicit his help in the purchase of the power facilities already operating in that county. Thereupon Myers made inquiry of the owners of the stock in the existing facility as to the possibility and terms of a sale to the PUD, and Myers, together with J. D. Eoss and K. W. Beck, worked on this project, along with other projects being developed at that time. On October 11,1940, Myers and the Mason County PUD signed a written contract setting forth specifically the terms and conditions under which Myers was to be paid substantially in the terms provided for in other PUD contracts. Shortly thereafter and during 1941 the sale of the Mason County PUD was completed and Myers was paid his commission.

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Myers v. Commissioner, 11 T.C. 447, 1948 U.S. Tax Ct. LEXIS 74 (tax 1948).

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