Olson v. Commissioner

48 T.C. 855, 1967 U.S. Tax Ct. LEXIS 38
CourtUnited States Tax Court
DecidedSeptember 21, 1967
DocketDocket Nos. 1713-65, 1714-65, 1715-65, 1716-65, 3328-65
StatusPublished
Cited by7 cases

This text of 48 T.C. 855 (Olson 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
Olson v. Commissioner, 48 T.C. 855, 1967 U.S. Tax Ct. LEXIS 38 (tax 1967).

Opinion

Withey, Judge:

The Commissioner has determined deficiencies in the income tax of the petitioners for 1961 as follows:

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Issues presented for determination are (1) whether the distribution by Olson Electronics of Cleveland, Inc., to its shareholders of all of the stock of its wholly 'owned subsidiary, Olson Electronics of Buffalo, Inc., qualified as a nontaxable transaction under the provisions of section 355 of the Internal Revenue Code of 1954 or whether it constituted a taxable dividend under sections 316 and 301 of the Code, (2) what was the fair market value of Olson Electronics of Buffalo, Inc., stock on February 23,1961, and (3) whether Sidal Corp. and the shareholders of Sidal Corp. received a dividend as the result of the distribution by Olson Electronics of Cleveland, Inc., to the shareholders of Sidal of the portion of the stock in Olson Electronics of Buffalo, Inc., which Sidal was entitled to receive.

FINDINGS OF FACT

Some of the facts have been stipulated and are found accordingly.

The following individual petitioners are husband and wife, residents of the indicated cities, and filed their joint Federal income tax returns for 1961, prepared on the cash basis of accounting, with the district director in Cleveland, Ohio:

Husband and wife Residents oí—
■Sidney L. Olson and Miriam K. Olson_ Akron, Ohio
Philip I. Olson and Audrey B. Olson_ Cleveland, Ohio
Albert L. Schultz and Janet A. Schultz_ Akron, Ohio
Irving J. Olson and Ruth B. Olson_ Akron, Ohio

Petitioner, Sidal Corp., sometimes hereinafter referred to as Sidal, was formed under the laws of Ohio during January 1956 and has its main office and place of business in Akron, Ohio. Sidal owned various parcels of commercial real estate for rental income. It filed its Federal corporation income tax return for 1961, prepared on the accrual basis of accounting, with the district director in Cleveland, Ohio.

Sidney, Philip, and Irving Olson are brothers.

In the early 1930’s Irving founded the Olson Co. which began operations in Akron, Ohio. Soon thereafter Sidney and Philip acquired interests in the company. In 1944 or 1945 Philip withdrew from the Olson Co. and either his brothers, Irving and Sidney, or Olson Co. acquired his interest therein. In 1946 and for a number of years prior thereto Albert L. Schultz, a certified public accountant, performed accounting services for Olson Co. and in 1946 acquired an interest therein. Neither Schultz nor his wife is related, directly or indirectly, to the Olson family.

During November 1947, Olson Radio Warehouse of Cleveland, Inc., was formed under the laws of the State of Ohio and began business under that name. The name of the corporation was subsequently amended and changed during August 1959 to Olson Radio Corp. of Cleveland, Inc., which thereafter during January 1961 was changed to Olson Electronics of Cleveland, Inc., and sometimes hereinafter referred to as Cleveland. Cleveland had four original shareholders holdings equal shares of the issued and outstanding stock of Cleveland, as follows:

Shares
Sidney L. Olson_ 25
'Albert L. Sebultz_ 25
Irving J. Olson_ 25
Philip I. Olson_ 25
Total_ 100

Cleveland caused Olson Radio Warehouse of Buffalo, Inc., to be incorporated on July 29, 1955, under the laws of the State of New York, as a wholly owned subsidiary to engage in the operation of a retail electronics store at Buffalo, N.Y. During August 1959, the corporate name was changed to Olson Radio Corp. of Buffalo, Inc., and during January 1961 was changed to Olson Electronics of Buffalo, Inc., sometimes hereinafter referred to as Buffalo. Buffalo issued 40 shares of its no-par-value common capital stock, having a stated value of $1,000 per share, to Cleveland for a total paid-in capital of $40,000. At all times material herein, these shares constituted the total issued and outstanding capital stock of Buffalo, having an adjusted cost of $40,000.

■From the respective dates of their formation to and including the present, and with respect to all times herein material, Cleveland and Buffalo operated separate retail electronics stores in Cleveland, Ohio, and Buffalo, N.Y., respectively.

Upon the formation of Sidal Corp. in January 1956 its stock was issued as follows: Albert L. Schultz, 10 shares, and Sidney L. Olson, 10 shares. During December 1956, Schultz and Sidney Olson each contributed to Sidal Corp. 15 ¿hares of the capital stock owned by them in Cleveland in exchange for the issuance by Sidal to each of them of an additional 40 shares of its stock. Thereafter, the stockholdings in Sidal were as follows: Albert L. Schultz, 50 shares, and Sidney L. Olson, 50 shares.

The following is a statement of the operating Olson companies, sometimes hereinafter referred to as the Olson Group, in existence on February 23, 1961:

Operating compmtiea Incorporated
Olson Electronics, Inc. (Akron)1- 'July 5, 1946
Ohio Radio Mfg. Co_ Jan. 2, 1959
Akrad Associates (partnership formed in 1947) —
Olson Electronics of Cleveland, Inc.1- Nov. 1, 1947
lOlson Electronics of Chicago, Inc.1 — - Feh. 26, 1951
American Electronic Parts Corp- Jan. 20, 1951
Olson Electronics of Pittsburgh, Inc.1- Sept. 10, 1954
Olson Electronics of Milwaukee, Inc.1_ Mar. 10, 1955
Olson Electronics of Buffalo, Inc.1_ July 29, 1955
Wilson & Wagner Advertising Agency, Inc_ June 19, 1952
Olson Electronics, Western, Inc.1_ Aug. 8, 1959
Olson Electronics of Inglewood, Inc.1- Jan. 4, 1060
Olson Electronics of Columbus, Inc.1- Feb. 1, 1960

Olson Electronics of Cleveland, Inc., of which Philip Olson was president, a shareholder, and a member of the board of directors, owned all of the stock of Olson Electronics of Buffalo, Inc., the officers of which were as follows: Philip I. Olson, president; Sidney L. Olson, vice president; Irving J. Olson, secretary; and Albert L. Schultz, treasurer; and all of whom were members of the board of directors of the latter corporation.

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Related

Dillin v. Commissioner
56 T.C. 228 (U.S. Tax Court, 1971)
Tollefsen v. Commissioner
52 T.C. 671 (U.S. Tax Court, 1969)
Olson v. Commissioner
49 T.C. 84 (U.S. Tax Court, 1967)

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Bluebook (online)
48 T.C. 855, 1967 U.S. Tax Ct. LEXIS 38, Counsel Stack Legal Research, https://law.counselstack.com/opinion/olson-v-commissioner-tax-1967.