Omaha Aircraft Leasing Co. v. Commissioner

74 T.C. 251, 1980 U.S. Tax Ct. LEXIS 137
CourtUnited States Tax Court
DecidedMay 13, 1980
DocketDocket No. 1437-78
StatusPublished
Cited by2 cases

This text of 74 T.C. 251 (Omaha Aircraft Leasing Co. 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
Omaha Aircraft Leasing Co. v. Commissioner, 74 T.C. 251, 1980 U.S. Tax Ct. LEXIS 137 (tax 1980).

Opinion

Hall, Judge:

Respondent determined deficiencies in petitioner’s income tax of $5,633.96 for the taxable year 1973, $5,234.50 for the taxable year 1974, and $3,789.90 for the taxable year 1975. The sole issue for decision is whether petitioner is liable for the personal holding company tax imposed by section 541.1

FINDINGS OF FACT

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

Petitioner is a corporation organized under the laws of the State of Nebraska, with its principal place of business in Omaha, Nebr.

Petitioner maintained its books and records and filed its Federal income tax returns using the accrual method of accounting and a taxable year ending November 30.

Petitioner was incorporated in 1964 for the primary purpose of providing financing for customers of its sister corporation, Sky Harbor Air Services, Inc. (Sky Harbor), a retailer of general aviation airplanes. Petitioner provided financing to Sky Harbor customers unable to secure conventional financing.

Between 1964 and 1969, all of petitioner’s loans were made to Sky Harbor customers. The maximum number of loans outstanding to Sky Harbor customers in 1966 through 1967 was five. By 1969, only two of these loans remained outstanding. A dramatic change in the direction of petitioner’s lending activities occurred in 1970. Due to the effects of a nationwide credit crunch, petitioner lent $110,000 to Sky Harbor for working capital purposes. Also in 1970, petitioner lent $8,000 in “startup” money to its newly formed sister corporation, Sky Mart, Inc. (Sky Mart), because of the latter’s inability to obtain other financing. In addition to these loans, petitioner advanced a total of $40,000 “startup” money in 1971 and 1972 to another newly formed sister corporation, Omaha Airplane Supply Corp. (OASC), because of the latter’s inability to obtain alternate financing. By 1971, all of petitioner’s loans to unrelated third parties had been repaid or otherwise liquidated, and the only loans outstanding were to these sister corporations.

In 1972 and 1973, certain changes were made with respect to the loans outstanding to the sister corporations: (1) Petitioner established a due date of December 31,1982; (2) petitioner raised the interest rate from 9 percent to 12 percent; and (3) each of the debtor corporations executed a chattel mortgage in petitioner’s favor to secure the loans. These chattel mortgages, however, were not filed until October 20, 1976, so as not to impair the financial standing of the debtor corporations. During the taxable year 1975, Sky Mart repaid the $8,000 owed to petitioner.

Petitioner’s loans to its sister corporations tied up almost all of its working capital during the years in issue. In addition, petitioner’s inability to borrow money at a rate sufficiently below the maximum interest it could charge on new loans precluded it from raising additional funds. As a result of these two factors, petitioner had virtually no funds available to lend to unrelated third parties between 1973 and 1975.

Petitioner’s financial statements reflected the balance sheets for November 30, 1973, 1974, and 1975, as shown below.

Omaha Aircraft Leasing Co.
Comparative Balance Sheet
For the Years Ended Nov. 30, 1973, 1974, and 1975
Assets 1978 197U 1975
Current assets:
Cash. $9,081.69 $839.21 $192.07
Accounts receivable-•affiliated companies:
Sky Harbor. 1,281.00 10,637.00 19,113.00
Sky Mart. 300.00 640.00 0
OASC. 5,400.00 9,400.00 12,200.00
Total current assets. 16,062.69 21,516.21 31,505.07
Other assets:
Notes receivable--affiliated companies:
Sky Harbor. 110,000.00 110,000.00 110,000.00
Sky Mart. 8,000.00 8,000.00 0
OASC. $40,000.00 $40,000.00 $40,000.00
Total other assets. 158,000.00 158,000.00 150,000.00
Total assets. 174,062.69 179,516.21 181,505.07
Liabilities
Current liabilities:
Notes payable to sole stockholder., 7,720.00 0 0
Accrued interest payable.. 4,820.00 4,320.00 4,610.80
Provision for taxes.. 3,064.98 1,760.64 1,044.56
Total current liabilities. 15,104.98 6,080.64 5,655.36
Long-term obligation:
Note payable to sole stockholder (6-percent unsecured). 72,000.00 79,000.00 76,000.00
Total liabilities. 87,104.98 85,080.64 81,655.36
Stockholder’s equity:
Capital stock. 50,000.00 50,000.00 50,000.00
Retained earnings. 36,957.71 44,435.57 49,849.71
. 86,957.71 94,435.57 99,849.71 Total stockholder’s equity.
Total liabilities and stockholder’s equity. 174,062.69 179,516.21 181,505.07

Petitioner had no employees or facilities of its own; rather, petitioner utilized Sky Harbor’s personnel and facilities to administer its affairs. Among the services performed by Sky Harbor on petitioner’s behalf were the processing of loan applications, the running of credit checks, the repossessing of aircraft, and the other normal activities associated with the operation of a financing company. In exchange for these services, petitioner paid Sky Harbor a percentage of its gross income. Initially, this rate was arbitrarily set at 18 percent subject to periodic reviews to assess how accurately it reflected petitioner’s actual use of the Sky Harbor facilities and personnel. A reduction of the rate to 15 percent occurred in 1969 in order to reflect the lower number of outstanding loans to unrelated parties.2 The rate remained at 15 percent from 1969 through 1975.

Petitioner reported gross income of $18,960 for the taxable year ending November 30, 1973, $18,960 for the taxable year ending November 30, 1974, and $18,160 for the taxable year ending November 30, 1975. Petitioner derived its income in these years solely from interest on the loans made to Sky Harbor, Sky Mart, and OASC.

Petitioner claimed the following deductions on its 1973, 1974, and 1975 taxable year Federal income tax returns:

1973 1974 1975

State income tax. $335.00 $363.00 $283.00

Occupation tax. 37.50 37.50 37.50

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74 T.C. 251, 1980 U.S. Tax Ct. LEXIS 137, Counsel Stack Legal Research, https://law.counselstack.com/opinion/omaha-aircraft-leasing-co-v-commissioner-tax-1980.