Peters v. Commissioner

1963 T.C. Memo. 171, 22 T.C.M. 813, 1963 Tax Ct. Memo LEXIS 172
United States Tax Court·Decided June 20, 1963·No. Docket Nos. 87775, 87776.·Unpublished

Opinion

Thomas M. Peters and Marian P. Peters v. Commissioner. Isabel Peters v. Commissioner.
Peters v. Commissioner
Docket Nos. 87775, 87776.
United States Tax Court
T.C. Memo 1963-171; 1963 Tax Ct. Memo LEXIS 172; 22 T.C.M. (CCH) 813; T.C.M. (RIA) 63171;
June 20, 1963

*172 Held, a loss sustained by tenants-in-common on the sale of unimproved real estate which they had received upon the liquidation of a family corporation was a capital loss.

Fred R. Tansill, 824 Connecticut Ave., N. W., Washington, D.C., for the petitioners. Eugene L. Wilpon, for the respondent.

BRUCE

Memorandum Findings of Fact and Opinion

BRUCE, Judge: Respondent determined deficiences in income tax for the year 1955 against Thomas M. and*173 Marian P. Peters in the amount of $6,130.78, and against Isabel Peters in the amount of $6,540.89.

The sole issue presented is whether the loss of $28,962.39 sustained by petitioners in 1955 upon the sale of 29.216 acres of unimproved real estate owned by them as tenants-in-common constituted an ordinary or a long-term capital loss.

Findings of Fact

Some of the facts have been stipulated and the stipulation together with the exhibits attached thereto are hereby adopted.

Thomas M. and Marian P. Peters are husband and wife residing in Bernardsville, New Jersey. They filed a joint income tax return for the year 1955 with the district director of internal revenue for the Upper Manhattan District of New York. Marian is a party to these proceedings solely by reason of having filed a joint return. Isabel Peters is a single person residing in New York City. She filed an individual income tax return for 1955 with the district director of internal revenue for the Lower Manhattan District of New York. Thomas and Isabel, sometimes hereinafter referred to as petitioners, are brother and sister. Isabel was born October 13, 1881, and Thomas was born June 28, 1888.

In 1903 petitioners' father*174 purchased 80 acres of land at Oyster Bay on the north shore of Long Island, New York, and constructed a large 21-room family residence thereon in 1904. In addition to the main house, a gardener's cottage, stable, and water tank house were also constructed, modern conveniences and facilities were provided and much of the area was landscaped. Two cottages and adjoining acreage near the shore were later purchased, increasing the Oyster Bay property to 83.504 acres. The residence was thereafter occupied by the father, Isabel and another daughter, Alice, as the Peters family home. They also had a town house at 6 East 69th Street in New York City.

Prior to 1931 the father formed Hawirt, Inc., a family corporation, to which the Oyster Bay property was transferred as its sole asset. The stock in Hawirt, Inc., was given to the three children: 833 shares each to Isabel and Alice and 834 shares to Thomas.

The father died March 17, 1931, and Alice died in November 1931. Upon Alice's death her shares of stock in Hawirt, Inc., were divided equally between Thomas and Isabel. Hawirt, Inc., was dissolved in 1935, and Thomas and Isabel each received a one-half interest in the Oyster Bay property*175 as tenants-in-common.

Prior to 1931, petitioners discussed selling the Oyster Bay property but decided not to do so while their father lived. After he died, in April 1931, Thomas obtained from a real estate broker the prices at which neighboring properties were listed for sale, in order to determine a reasonable selling price for their Oyster Bay property.

Isabel continued to occupy the family residence at Oyster Bay by herself for about two years after the death of her father and Alice. It was then rented for about one year and thereafter, from 1934 until the last parcel was sold in 1955, was continually offered for sale. Schedules of rentals received by each of the petitioners indicate other portions of the Oyster Bay property may have been rented during the period 1933 to 1946, but only the rentals received from the "Kirkwood" cottage during 1942 to 1946, inclusive, are clearly identified. It does not appear that the 29.216 acres involved was ever rented.

In 1935, the Oyster Bay property was listed for sale as a whole with a number of real estate brokers. Being unable to sell it as a whole, petitioners then had the property divided by a landscape architect into 3-acre lots, *176 the minimum size permitted under local zoning ordinances, but none of the 3-acre lots were sold. There is no evidence a plat of such lots was ever filed. The property was thereafter sold in parcels of various sizes and resulted in net gain or loss as follows:

Date SoldPurchaserPurchase PriceProperty SoldNet Gain orloss
(1) 5/ 2/39John Marsh$67,00015.735 acres($64,244.63)
including
main residence
(2) 2/27/41John Marsh3,7504.070 acres($10,948.11)
including

Free access — add to your briefcase to read the full text and ask questions with AI

Peters v. Commissioner, 1963 T.C. Memo. 171, 22 T.C.M. 813, 1963 Tax Ct. Memo LEXIS 172 (tax 1963).

1963 T.C. Memo. 171 (Peters v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Heiner v. Tindle
276 U.S. 582 (Supreme Court, 1928)
Boomhower v. United States
74 F. Supp. 997 (N.D. Iowa, 1947)
Thrift v. Commissioner
15 T.C. 366 (U.S. Tax Court, 1950)
Assmann v. Commissioner
16 T.C. 632 (U.S. Tax Court, 1951)
Eline Realty Co. v. Commissioner
35 T.C. 1 (U.S. Tax Court, 1960)
Leslie v. Commissioner
6 T.C. 488 (U.S. Tax Court, 1946)