Nasser v. United States

257 F. Supp. 443
CourtDistrict Court, N.D. California
DecidedJanuary 26, 1966
Docket42544
StatusPublished
Cited by14 cases

This text of 257 F. Supp. 443 (Nasser v. United States) is published on Counsel Stack Legal Research, covering District Court, N.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Nasser v. United States, 257 F. Supp. 443 (N.D. Cal. 1966).

Opinion

MEMORANDUM OPINION

WOLLENBERG, District Judge.

This is an action for the recovery of Federal income taxes paid under protest by the plaintiffs Richard J. Nasser (hereinafter, “taxpayer”) and his wife for the years 1960 and 1961. This court’s jurisdiction derives from 28 U.S.C. § 1346(a) et seq. This opinion embodies the Court’s findings of fact and conclusions of law as required by F.R.Civ.P. 52(a).

Plaintiffs are husband and wife and reside in San Francisco, California. The District Director audited plaintiffs’ 1960 and 1961 joint returns and gave plaintiffs notice by letter dated October 14, 1963, of proposed assessments against them of deficiencies in taxes in the amount of $30,341.30 for the year 1960 and in the amount of $8,427.42 for the year 1961. Plaintiffs under protest paid the proposed deficiencies on December 18, 1963, and paid the accrued interest on the deficiencies on March 10, 1964. Plaintiffs filed claims for refund with respect to their deficiency payments for both years with the District Director on December 18, 1963, claiming a refund of $29,223.41 for the year 1960 and a refund of $8,113.90 for the year 1961. Plaintiffs’ claims for refund were disallowed by the District Director and the present action was commenced. Following the withdrawal of an additional deficiency notice, the court granted defendant leave to file a counter-claim in this action demanding judgment against plaintiffs for an additional deficiency in tax for the year 1961 in the amount of $36,233.98.

At the times of all transactions involved in this case, the plaintiff Richard J. Nasser (hereafter referred to as “Mr. Nasser”) was the sole shareholder, president and one of the directors of a California corporation known as “Bay Properties, Inc.” (hereafter referred to as “Bay”).

Bay Properties prior to 1960 owned non-income producing property, the San Pablo lot, in conjunction with income property, the Shattuck properties which had depreciated down taxwise. Nasser was advised to sell the property and invest the proceeds in depreciable income.

On October 7,1960, about the time that negotiations for the Continental Market began, the sum of $60,000 was withdrawn by check from the checking account of Bay and deposited in the personal savings account of Mr. Nasser at the Bank of America. The $60,000 payment to Mr. Nasser was entered by the bookkeeper, Garibaldi, on or about October 7, 1960, as the first entry in an account in Bay’s books entitled “R. J. Nasser Loan for Refund.” On March 2, 1961, the sum of $60,000 was returned from the personal savings account of Mr. Nasser to the checking account of Bay, because of the inability of Nasser to effect the intended purchase of the Continental Market.

On April 18, 1961, the sum of $30,000 was withdrawn by check from the checking account of Bay and deposited in the personal checking account of Mr. Nasser at the Bank of America. The $30,000 withdrawn from Bay’s account and deposited in Mr. Nasser’s personal checking account was used by Mr. Nasser partially to cover personal cheeks outstanding *446 on April 18, 1961, and partially to make purchases of shares of stock on the market in plaintiffs’ names as their own personal investments. Between April 18, 1961, and December 21, 1961, said sum of $30,000 was consumed in such personal transactions; the balance in Mr. Nasser’s personal checking account as of December 20, 1961, was $1,424.05. However, at all times during this period Mr. Nasser had over $200,000 in his savings account at the same bank.

On December 21, 1961, the sum of $40,000 was withdrawn by check from the checking account of Bay and deposited in the personal checking account of Mr. Nasser at the Bank of America. On December 1, 1961, a check was drawn on Bay’s checking account in the amount of $10,000 payable to one Roy W. Stovall. This check represented a deposit toward the purchase price of $485,000 under a contract between Stovall as seller and Mr. Nasser as buyer for the purchase of a parcel of real property located in Millbrae, California, on which a supermarket was situated. This property is hereafter referred to as the “Continental Market”.

On January 3, 1962, Mr. Nasser withdrew the sum of $181,000 from his personal savings account and deposited it in his personal checking account, and on January 4, 1962, he wrote a check for the sum of $226,332.60 payable to the California Pacific Title Company as escrow agent in the closing of the transaction for the purchase of the Continental Market. On January 5, 1962, two grant deeds conveying the Continental Market to Mr. Nasser alone were recorded with the Recorder of San Mateo County. The first of these deeds conveyed “an undivided interest of 89%%” to “Richard J. Nasser, a married man as his separate property” from “Roy W. Stovall” and is dated December 1, 1961. The second deed conveyed “an undivided interest of 10%% in the same property to “Richard J. Nasser, a married man as his separate property” from the “Garden Investment Company, a Limited Partnership” and is dated December 20,1961.

After the acquisition of title to the Continental Market, Mr. Nasser in January of 1962 caused a separate set of books to be opened under the name of “Millbrae Continental”, and the entries in those books reflect monthly receipts of rent from the lessee of the Continental Market and monthly mortgage payments on the $250,000 Nasser note having been made out of such rent receipts from January, 1962 through December, 1962.

On November 8 and November 15, 1962, an Internal Revenue Service agent called on Mr. Nasser at his office for the purpose of examining books and records reflecting the 1960 and 1961 withdrawal transactions in connection with the audit of the plaintiffs’ tax returns for 1960 and 1961. On November 29, 1962, a meeting of the directors of Bay was held and minutes of that meeting set forth the fact of the purchase of the Continental Market in January of 1962, and stated that Mr. Nasser had taken title to the property in his own name for convenience, that it was understood at the time of the purchase that Bay should participate in the purchase to the extent that its available funds would permit, that Mr. Nasser had utilized $80,000 of Bay’s funds in the purchase and had borrowed funds and put up his own funds for the balance of the purchase price, that the respective investments of Bay and Mr. Nasser in the property would be adjusted to two-fifths for Bay and three-fifths for Mr. Nasser, and that a two-fifths ownership interest in the property would be conveyed by deed to Bay from plaintiffs.

On December 19, 1962, a grant deed dated November 29, 1962, conveying “an undivided two-fifths interest” in the Continental Market from “Richard J. Nasser and Argent Nasser, his wife” to “Bay Properties, Inc., a California corporation” was recorded with the Recorder of San Mateo County.

On December 31, 1962, new accounts were opened in the books of Mr. Nasser and of • Bay designated respectively as “Continental Market Investment” and “Investment Millbrae Continental Market”, and opening entries were made in *447 those accounts to show Mr. Nasser’s investment as $141,000 and Bay’s investment as $94,000.

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Bluebook (online)
257 F. Supp. 443, Counsel Stack Legal Research, https://law.counselstack.com/opinion/nasser-v-united-states-cand-1966.