Myers v. Commissioner

42 T.C. 195, 1964 U.S. Tax Ct. LEXIS 115
CourtUnited States Tax Court
DecidedApril 17, 1964
DocketDocket Nos. 89862, 89863, 91984, 91985
StatusPublished
Cited by9 cases

This text of 42 T.C. 195 (Myers v. Commissioner) 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
Myers v. Commissioner, 42 T.C. 195, 1964 U.S. Tax Ct. LEXIS 115 (tax 1964).

Opinion

Bruce, Judge:

The respondent determined deficiencies in income tax as follows:

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Certain items disallowed by respondent in the notices of deficiency were not contested by petitioners and the amounts of the deficiencies thereon were subsequently assessed and paid.

The respondent disallowed bad-debt deductions of $55,575.31 and $7,275.08 claimed on partnership returns for fiscal years ended in 1956 and 1957, respectively, of a partnership in which all of the petitioners except Jane were members. The sole issue is whether such amounts are allowable deductions, either as business bad debts or as ordinary and necessary expenses of the partnership. Some facts are stipulated.

FINDINGS OF FACT

The stipulation of facts and exhibits thereto are incorporated herein by this reference. These facts are stated here to the extent deemed necessary, together with other facts found from the testimony.

Petitioners Ray A. Myers and Sherry Myers are husband and wife. R. Reese Myers is their son. Petitioners R. Reese Myers and Jane V. Myers are husband and wife. All are residents of Los Angeles, Calif., and each of the married couples filed joint returns for the years 1956 and 1957, with, the director of internal revenue at Los Angeles. Since Jane is involved herein solely by reason of having filed a joint return with her husband, use of the term “petitioners” will hereinafter have reference to Eay, Sherry, and Eeese Myers.

Petitioners Eay A. Myers, Sherry Myers, and E. Eeese Myers are, and at all times since 1941 have been, copartners, doing business as Myers Bros., a partnership. Myers Bros, is, and at all times mentioned has been, engaged in the general contracting business and holds licenses from the State of California and various other Western States as a general contractor. The principal place of business of petitioners and of Myers Bros, is, and at all times mentioned has been, in Los Angeles, Calif. The partnership accounts were kept and returns filed on the basis of a fiscal year ended October 31.

Myers Bros, has been engaged in housing construction, both military and nonmilitary, and has also done construction of commercial, industrial, and service-station buildings.

Between 1944 and 1956, Myers Bros, engaged in the construction of the following nonmilitary housing pro j ects:

Name of project Year Approximate gross sales
Elbe Construction Co.____— 1944-45 $305,200
Culver City Housing Corp..... 1946-47 10,000,000
Laurel Canon Manor Co__-. 1947-48 586.100
Rhodes Development Co---1947-48 447,500
Strathern Development Co___ 1947-48 447,500
Si. Clair Development Co____ 1947-48 447. 500
Bellingham Development Co_ 1947-48 447.500
Glade Development Co______ 1947-48 447, 500
Stagg Development Corp...-. 1947-48 468,600
Laurel Canon Development Corp..... 1947-48 468, 600
Woodset Development Corp. 1947-48 468.600
Highland Development Co., Project No. I.. 1948-49 381,000
Highland Development Co., Project No. II_ 1950-51 396.800
Highland Development Co., Project No. Ill.. 1950-51 269.800
Highland Development Co., Project No. IV_ 1951-52 413.000
Highland Development Co., Project No. V.. 1951-52 182.500
Lambert Housing Corp.. 1949-50 1,637.000
Myers-Smith, Inc., Project No. I_ 1949-50 850.000
Myers-Smith, Inc., Project No. II__— 1954-55 460,000
Fred J. Russell___ 1953-54 739.250
Hancock Homes, Inc___ 1950-51 1,700.000
Merit Homes, Inc___ 1950-51 344.500
Rayden Building Co__ 1950-51 600,000
Marine Terrance, Inc__— 1951 3.226.400
Northridge Co.. 1951 840.000
Allondra Park, Inc., Project No. I__ 1951-52 1.331.400
Allondra Park, Inc., Project No. II___ 19.52-53 2,290,000
Myers-Laguna Co______ 1952-53 675,840
A.F G. Homes, Inc__ 1952-53 585,000
Myers-Yuma Homes, Inc_ 1953 229,750
Myers Bros.-Housing Land Co., Joint Venture.. 1953 283,700
Rodille Corp.. 1953-64 567.500
Rancho Vallejo Development Co., Inc., of California. 1954-55 1.362.400
Brian Homes, Inc., Project No. I_ 1954-55 398.600
Brian Homes. Inc., Project No. II... 1954-55 377.100
Calridge Homes, Inc.. 1954-55 37.500
Homes, Inc___ 1954-55 1,503,350
B-L-B Corp..»__ 1954-55 550,400
Highland-Ayres, Project No. I.... 1954-55 905.800
Highland-Ayres, Project No. II___ 1955-56 751,200
Myers-Simonsen Co__ 1954-55 628.250
Cortland Homes, Inc..____ 1954-55 667.600
The Westshore Co. of San Mateo___ 1955-56 1,950,000
Myers-Bodger, Ltd.. 1965-56 522.250
42,092,490 Total.

The above-listed projects were carried out under a variety of arrangements. Myers Bros, did the construction work, in most instances under contract with the corporation or other entity which owned or acquired the land, upon a cost-plus-fixed-fee (ranging from $100 to $250 per house) or a cost-plus-percentage-of-profits basis. In some instances the project was conducted as a joint venture between the landowners and Myers Bros. In a few instances Myers Bros, purchased the land for cash and constructed the houses on its own behalf. In some instances the corporation purchased the land, using its invested capital for this purpose. In others it acquired the land on a deferred-payment basis; i.e., for preferred stock to be redeemed after completion and sale of the houses or to be paid from sales escrows after completion and sale.

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Myers v. Commissioner
42 T.C. 195 (U.S. Tax Court, 1964)

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Bluebook (online)
42 T.C. 195, 1964 U.S. Tax Ct. LEXIS 115, Counsel Stack Legal Research, https://law.counselstack.com/opinion/myers-v-commissioner-tax-1964.