Oace v. Commissioner

39 T.C. 743, 1963 U.S. Tax Ct. LEXIS 198
CourtUnited States Tax Court
DecidedFebruary 11, 1963
DocketDocket Nos. 87933, 808-62
StatusPublished
Cited by31 cases

This text of 39 T.C. 743 (Oace 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
Oace v. Commissioner, 39 T.C. 743, 1963 U.S. Tax Ct. LEXIS 198 (tax 1963).

Opinion

Mtjlkoney, Judge:

The respondent determined deficiencies in the petitioners’ income tax as follows:

Year Amount
1956_$1, 967. 76
1957_ 2, 029.16
1958_ 1,576.82
1959_ 3, 639.38

The only issue in these cases is whether the gains realized from the sales of real estate in the years 1956 through 1959 are taxable as capital gains or as ordinary income.

FINDINGS OF FACT.

Some of the facts were stipulated and they are found accordingly.

Ralph J. and Ann-Mari Oace, husband and wife, are residents of St. Paul, Minn. They filed joint income tax returns for the years 1956 through 1959 with the district director of internal revenue for the district of Minnesota, St. Paul, Minn. Ralph J. Oace will hereinafter be called the petitioner.

Petitioner received a degree in chemical engineering from the University of Minnesota in 1937. He is employed by Minnesota Mining and Manufacturing Co., St. Paul, Minn., and at the time of trial had been in that corporation’s employ for 25 years. Petitioner’s principal work with the corporation is in product development. He received a salary from his employer during the years 1955 through 1959 as follows: 1955, $8,160; 1956, $8,710; 1957, $9,310; 1958, $9,965; and 1959, $10,898. Ann-Mari Oace was a housewife throughout the years here involved. Petitioner and his wife have two children.

About 1954 petitioner bad an equity of about $10,000 in bis borne and also owned stock of Minnesota Mining and Manufacturing Co. in tbe amount of about $4,500. Petitioner and bis wife bad been unsuccessfully looking for a new homesite of from 3 to 5 acres for about 10 years, and about 1954 they were planning an addition to tbeir residence.

In 1954 petitioner tried to buy from 3 to 5 acres of undeveloped, wooded lake shore property a few miles from St. Paul, but the owner refused to sell such small tracts. Tire owner of tbe tract preferred to sell tbe entire 75-acre tract of lake shore property but finally agreed to sell a 20-acre tract to petitioner. An earnest money contract was executed in August 1954 covering tbe 20-acre lake shore tract which petitioner agreed to buy, and petitioner also received an option to purchase an additional 55 acres of adjoining property, with the provision that the seller would obtain a road easement over the 20-acre tract in the event the option was not exercised.

The seller then reduced the price of the entire 75-acre tract by $1,000 and the interest on the contemplated mortgage was reduced from 6 to 5 percent. These facts, plus petitioner’s concern over the road easement over his 20-acre tract, persuaded petitioner to purchase the entire 75-acre tract, and on December 16, 1954, he purchased a 75.37-acre tract in Washington County, Minn., for $15,123.1 Petitioner agreed to pay $4,500 cash and executed a promissory note in the amount of $10,500, with interest at 5 percent and monthly payments of $75. The note was secured by a mortgage on the property.

Petitioner then made the following purchases of undeveloped land, all of which adjoined the original 75.37-acre tract:

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The 3-acre tract, which was contiguous to the 75.37-acre tract and very near petitioner’s selected building site, was purchased to provide needed space for a roadway which would otherwise pass too close to the site of the new house. Also, a nursery of spruce and white cedar trees had been planted on this 3-acre tract some years back, and petitioner wanted to transplant some of these trees to his building site. This second purchase of the 3-acre tract also covered a portion of a pond. The 12.55-acre tract covered the remaining portion of the pond and the remaining half of the above-mentioned nursery. The fourth purchase (19.5 acres) adjoined a State gravel pit on two sides and it was located between the gravel pit and petitioner’s homesite of 20 acres. Petitioner planted about 10,000 pine trees on this 19.5-acre tract by hand.

Petitioner registered by Torrens proceedings in Washington County District Court, order and decree of registration, dated July 9, 1956, the property purchased by him prior to that date.

Petitioner cut an initial road through the brush and trees from the nearest road to his proposed homesite on a 20-acre portion of the original 75.37-acre purchase. This work was done by him on weekends and after his normal workday was over.

Petitioner subdivided the land purchased by him into three contiguous plots as follows: (1) Oace Acres, consisting of approximately 15 acres, was set out in a plat, dated and acknowledged September 30, 1955, and filed of record May 28, 1956, and consisted of 15 lots; this subdivision was platted from the 75.37-acre tract; (2) Oace Acres, Second Addition, consisting of approximately 40 acres, was set out in a plat, dated and acknowledged October 2, 1956, and filed of record October 9, 1956, and consisted of 31 lots; this subdivision was also platted from the 75.37-acre tract; and (3) Oace Acres, Third Addition, consisting of approximately 31 acres, was set out in a plat and acknowledged July 7,1959, and filed of record July 13, 1959, and consisted of 25 lots; this subdivision was platted from the 3-acre tract (purchased June 7, 1955), the 12.55-acre tract (purchased September 29, 1955), and the 15-acre tract (purchased October 26, 1957). Oace Acres, Oace Acres, Second Addition, and a part of Oace Acres, Third Addition, were registered under the Torrens proceedings.

Petitioner constructed blade-finished roads at a cost of 35 cents per foot on the tracts purchased by him. East Oakdale Township, Washington County, Minn., accepted such roads and finished them as required by ordinance. Petitioner placed restrictive covenants on the tracts purchased by him, which placed a minimum value of $15,000 on buildings to be used for residential purposes.

Petitioner sold his first two lots from Oace Acres on June 2,1955, to his father-in-law and to the latter’s supervisor at their place of employment. When petitioner had originally purchased the 75.37-acre tract he had received oral assurance that the seller would release from the mortgage any land sold by the petitioner. After petitioner sold the first two lots, seller refused to make any partial releases under the mortgage. On September 21, 1955, the petitioner paid in full the promissory note given to the seller in the face amount of $10,500.

Petitioner drew his own plans and did the general contracting for his new home located on lakefront property that was part of the original 75.37-acre tract. He had originally planned to construct a house at a cost of about $22,000 to $24,000, but the final cost of the house, which was completed early in 1956, exceeded $60,000. Petitioner sold his old residence through a real estate agency.

During the years 1955 through 1959 the petitioner made the following sales from the three subdivisions:

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Petitioner has never held a real estate license.

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Cite This Page — Counsel Stack

Bluebook (online)
39 T.C. 743, 1963 U.S. Tax Ct. LEXIS 198, Counsel Stack Legal Research, https://law.counselstack.com/opinion/oace-v-commissioner-tax-1963.