Patrick v. Commissioner

31 T.C. 1175, 1959 U.S. Tax Ct. LEXIS 217
CourtUnited States Tax Court
DecidedMarch 20, 1959
DocketDocket No. 66799
StatusPublished
Cited by9 cases

This text of 31 T.C. 1175 (Patrick 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
Patrick v. Commissioner, 31 T.C. 1175, 1959 U.S. Tax Ct. LEXIS 217 (tax 1959).

Opinion

Fisher, Judge;

Respondent determined deficiencies in income tax

and additions to tax of petitioners as follows:

_Additions to taco_
Year Deficiencies sec. 294(d)(2), I.R.O. 1989
1953 _$2,164.63 _
1954 _ 3, 704.18 $335.23

The primary issue presented is whether certain improved and unimproved lots sold in 1953 and 1954 were, in the years in which said sales were made, held by petitioners for sale to customers in the ordinary course of business.

Subsidiary issues relating to self-employment taxes of O’Donnell Patrick for the years 1953 and 1954, and additions to tax for substantial understatement of estimated tax for 1954, are dependent upon our determination of the primary issue referred to above, and are to be determined under Pule 50.

FINDINGS OF FACT.

O’Donnell and Elizabeth M. Patrick, husband and wife, filed joint Federal income tax returns for the calendar years 1953 and 1954 with the district director of internal revenue for the district of Indiana. In 1953, petitioners paid income tax in the amount of $5,321.90 by $4,208.39 through withholding, $400 by declaration of estimated tax, and final payment of $713.15 on or before March 15, 1954. In 1954, petitioners paid income tax in the amount of $6,263.19 by $3,872.20 through withholding, $400 by declaration of estimated tax, and final payment of $1,990.99 on or before April 15,1955.

In July 1950, petitioners purchased, as tenants by the entireties, approximately 37 acres of unimproved real estate located in the vicinity of Michigan Koad and 66th Street, Marion County, Indiana. The tract was approximately 9y2 miles from the center of Indianapolis, in an area that had not been developed at the time of purchase. The closest business to the tract was a small drugstore and grocery, 7 blocks away.

The cost of the tract above referred to was as follows:

Original cost_$18, 937. 50
Abstract_ 35.00
Improvements_ 9,186. 30
Surveying- 971. 00
Utility (powerline)- 117.00
Total_ 29,246. 80

The improvements consisted primarily of the construction of a gravel road on 67th Street, through the center of the tract, together with the construction of a drainage ditch. Petitioners did not make improvements on 66th Street which street had been previously constructed.

Petitioners’ original purpose in purchasing the tract was to hold it as an investment and as a site for their residence. The purchase was made from joint funds.

At the time of the acquisition of the tract, and prior thereto, O’Donnell Patrick was a salesman and his wife was employed as a stylist. At or about the time the construction of homes began on lots in said tract, O’Donnell Patrick, hereinafter sometimes referred to as petitioner, had the tract surveyed, measured, and numbered by lots.

Patrick entered into an understanding in 1952 with a builder in which it was planned that about 100 houses would be built on various lots in the tract. Two houses were started, but due to a disagreement with the builder, the arrangement with him fell through. Patrick completed the two houses and sold them in two separate transactions in 1952.

During the year 1953, Patrick, as a builder, built and sold two houses and during the year 1954 built and sold four houses. The sales price allocable to the improved lots (as distinguished from the sales price of the improvements) was as follows: Lot 15, $1,250; lots 18 and 19, $1,900.

Petitioner had six transactions involving the sale of improved and unimproved lots on the tract here under consideration during the year 1953, as follows:

Lot involved Cost basis — lots, (.numbered) notice of deficiency
1_$463.40
2_ 372.05
4_ 403.37
8_ 424.13
15_ 361.99
18 and 19 ($361.99X2)_ 723.98

Lots 1, 2, 4, and 8 were sold in 1953 without houses. Petitioner built a house on 'lot 15 and a house on lots 18 and 19. These two houses and lots were sold in 1953.

The total selling price of lots 1, 2, 4, and 8 was $4,450.

The basis of each lot sold as set forth in the notice of deficiency (as distinguished from the basis of improvements on the improved lots) should be increased by the amount of $33.76, in accordance with the stipulation of the parties.

During the year 1954, petitioners sold the following unimproved lots in five transactions. Said lots had the following sales price and cost basis:

Sales price
Total_ $9,250
Oost basis
Lots 3_ $1, 228. 04
7_ 424.12
13 and 14. 759. 63
30 and 31. 759. 63
42_ 346.44
1236. 32
Total_ 3, 754.18

In addition to the sale of unimproved lots in 1954, petitioners built and sold in that year four houses located on various lots in the tract, as follows:

Lot involved (numbered) Cost basis — lots, notice of deficiency
16_ _$361. 99
17_ __ 361. 99
20_ __ 361.99
21_ __ 361.99

The basis of each lot sold (as distinguished from the basis of the improvements thereon) should be increased by the amount of $33.76 over the basis set forth in the notice of deficiency in accordance with the stipulation of the parties. The sales price allocable to these improved lots (as distinguished from the sales price of the improvements thereon) was as follows: Lot 16, $1,250; lot 17, $1,250; lot 20, $1,250; lot 21, $1,500.

On the sale of improved lots, there was no separation of the sales price with respect to the house and lot.

Petitioners did not advertise their unimproved lots for sale, did not pay a commission on the sales thereof, and the purchasers (largely contractors but also homesite buyers) solicited or approached petitioner.

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Related

STIVERS v. COMMISSIONER
1973 T.C. Memo. 244 (U.S. Tax Court, 1973)
Sapphire Lands, Inc. v. Commissioner
1973 T.C. Memo. 23 (U.S. Tax Court, 1973)
Lockwood v. Commissioner
1962 T.C. Memo. 278 (U.S. Tax Court, 1962)
Thompson v. Commissioner
38 T.C. 153 (U.S. Tax Court, 1962)
Tidwell v. Commissioner
1961 T.C. Memo. 162 (U.S. Tax Court, 1961)
Starke v. Commissioner
35 T.C. 18 (U.S. Tax Court, 1960)
Patrick v. Commissioner
31 T.C. 1175 (U.S. Tax Court, 1959)

Cite This Page — Counsel Stack

Bluebook (online)
31 T.C. 1175, 1959 U.S. Tax Ct. LEXIS 217, Counsel Stack Legal Research, https://law.counselstack.com/opinion/patrick-v-commissioner-tax-1959.