Paul v. Commissioner
This text of 4 T.C.M. 43 (Paul 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.
Opinion
Memorandum Opinion
DISNEY, Judge: In his determination of a deficiency of $25.99 in income tax against petitioner for 1938 the respondent included in gross income a portion of certain amounts received by petitioner as beneficiary of insurance policies on the life of her deceased husband. The issue is: What portion, if any, of the payments is subject to taxation? The petitioner claims an overassessment of $15.62. The facts are set forth in a stipulation which we adopt as our findings of fact.
[The Facts]
Petitioner filed her return for 1938 with*343 the collector for the district of Washington. Her husband, Charles A. Paul died March 15, 1935, leaving two insurance policies on his own life. The policy issued by the Provident Mutual Life Insurance Company of Philadelphia, provided, among other things, that upon the death of the insured before maturity there would be paid to petitioner, as beneficiary, 240 monthly income installments certain of $15 each. Petitioner had the right to receive the commuted value of unpaid installments certain upon the death of the insured, or upon the maturity of any installment certain. The income installments certain had a commuted value of $2,733 at the time of death of the insured. The policy also provided that "The income installments certain shall participate in such proportion of the divisible surplus of the company as the company may each year allot and set apart thereto." Upon the death of the insured, petitioner surrendered the policy to the insurer and received a certificate containing like provisions for payment and commuting the installment payments. The certificate recited that it was issued in consideration of the surrender of the policy.
During the taxable year petitioner received*344 under the certificate issued by the insurer 12 monthly installments of $15 each and $14.16 representing participation in the insurance company's surplus allotted to the certificate.
The other policy, issued by the Connecticut Mutual Life Insurance Company, contained various optional settlements exercisable by the insured. Upon the issuance of the policy the insured applied for and received a trust agreement from the insurer. The trust agreement provided for payment to petitioner, as beneficiary, upon maturity of the policy, 240 monthly installments, installments after the first one to be "increased by such surplus interest earnings as shall from time to time be determined and thereto apportioned by the Company." Upon the death of the insured the insurance company issued its certificate of trust as of March 15, 1931, in which it agreed to retain in trust the amount of $25,142.25 payable under the policy, with the right to mingle the whole or any part thereof with its general corporate funds and pay to petitioner from the principal and income of the trust fund 240 monthly installments of $138.62 each. The certificate contained the following provision respecting additional payments: *345 "Such installments are computed upon the basis of 3 per cent compound interest; installments after the first will be increased by such surplus interest earnings as shall from time to time be determined and thereto apportioned by the Company."
During 1938 petitioner received under the certificate of trust 12 monthly installments of $138.62 each, a total of $1,663.44, and $103.45 representing participation in the insurer's surplus interest earnings.
The respondent concedes upon brief that the item of $1,663.44 is exempt from taxation under the provisions of
The respondent admits that the recent case of
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Cite This Page — Counsel Stack
4 T.C.M. 43, 1945 Tax Ct. Memo LEXIS 342, Counsel Stack Legal Research, https://law.counselstack.com/opinion/paul-v-commissioner-tax-1945.