Peterson Irrevocable Trust 2 for benefit of Peterson v. Commissioner

1986 T.C. Memo. 267, 51 T.C.M. 1300, 1986 Tax Ct. Memo LEXIS 343
CourtUnited States Tax Court
DecidedJuly 1, 1986
DocketDocket Nos. 29263-81, 29264-81, 29265-81, 29266-81, 29267-81, 29268-81, 29269-81, 29270-81, 29271-81.
StatusUnpublished
Cited by2 cases

This text of 1986 T.C. Memo. 267 (Peterson Irrevocable Trust 2 for benefit of Peterson 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.

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Peterson Irrevocable Trust 2 for benefit of Peterson v. Commissioner, 1986 T.C. Memo. 267, 51 T.C.M. 1300, 1986 Tax Ct. Memo LEXIS 343 (tax 1986).

Opinion

ROBERT L. PETERSON IRREVOCABLE TRUST #2 FOR THE BENEFIT OF SUSAN P. PETERSON, TRANSFEREE, UNION BANK AND TRUST COMPANY, TRUSTEE, ET AL., 1 Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Peterson Irrevocable Trust #2 for benefit of Peterson v. Commissioner
Docket Nos. 29263-81, 29264-81, 29265-81, 29266-81, 29267-81, 29268-81, 29269-81, 29270-81, 29271-81.
United States Tax Court
T.C. Memo 1986-267; 1986 Tax Ct. Memo LEXIS 343; 51 T.C.M. (CCH) 1300; T.C.M. (RIA) 86267;
July 1, 1986.
T. Geoffrey Lieben,Nick R. Taylor, and James W. R. Brown, for the petitioners.
J. Anthony Hoefer, for the respondent.

PARKER

MEMORANDUM FINDINGS OF FACT AND OPINION

PARKER, Judge: These consolidated cases arise from petitioner Robert L. Peterson's gifts of 50,000 shares of stock (or the sales proceeds thereof) to his two children and to trusts for their benefit. Before making the gifts, Peterson had entered into a contract to sell the stock for $13 per share. Peterson elected to "split" the gifts with his wife, petitioner G. Virginia Peterson, pursuant to section 2513. 2 These were "net gifts" in that the donees (children or trusts) were to pay the gift taxes, and the gifts were reported at a value of $4.50 per share.*345

This case involves both the income tax and gift tax consequences attaching to the Petersons' sale/gift of the 50,000 shares. In docket No. 29268-81, respondent determined a deficiency in the Petersons' 1976 Federal income tax in the amount of $236,711 on gain from the sale of the 50,000 shares of stock at $13.00 per share. 3 In the remaining dockets, respondent determined that the other petitioners (children or trusts) were liable as transferees for the deficiencies in Mr. and Mrs. Peterson's Federal gift taxes for the calendar quarter ended June 30, 1976. The deficiencies in gift tax were attributable solely to the difference in valuation ($13 versus $4.50 per share). Each notice of liability indicated a gift tax deficiency of $38,636, a section 6653(a) negligence addition thereto in the amount of $1,932, and interest thereon. Respondent also determined, however, that the transferee liability of petitioners Mark R. Peterson and Susan P. Peterson for such amounts is limited to $35,750 each, the fair market*346 value of the gifts they each received, as determined by respondent. 4 See sec. 6324(b). Respondent's determinations in regard to the gift tax are duplicative in that payment of Mr. and Mrs. Peterson's respective gift taxes of $38,636 each, additions to tax of $1,932 each, and interest thereon by one or any combination of the transferee-petitioners will discharge the remaining transferee-petitioners from liability therefor.

*347 The issues for decision are as follows:

(1) Whether petitioners Robert L. Peterson and G. Virginia Peterson are taxable on the gain reported by their children and the trusts on the sale of stock pursuant to a contract to sell such stock entered into before the gifts. This depends upon whether the rights under the contract were fixed so that the Petersons realized the gain before the transfer of the stock, as respondent contends, or whether the rights under the contract were so contingent and uncertain that the donees realized the gain on the sale, as petitioners contend;

(2) The fair market value of the gifts on the date thereof; and

(3) Whether Mr. and Mrs. Peterson, and therefore the transferee-petitioners, are liable for negligence additions to the gift tax under section 6653(a).

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts and the exhibits attached thereto are incorporated herein by this reference.

Petitioners Robert L. Peterson (Peterson), G. Virginia Peterson (Mrs. Peterson) (collectively, the Petersons), Mark R. Peterson, and Susan P. Peterson resided in Sioux City, Iowa at the time they filed their petitions*348 in this case. Mark R. Peterson and Susan P. Peterson (the children) are the children of Mr. and Mrs. Peterson. Union Bank and Trust Company (the trustee) is the corporate trustee of petitioner Robert L. Peterson Irrevocable Trust #1 for the benefit of Mark R. Peterson (Trust No. 1), and petitioner Robert L. Peterson Irrevocable Trust #2 for the benefit of Susan P. Peterson (Trust No. 2). The trustee's principal office was in Lincoln, Nebraska at the time it filed its petitions in this case.

The Petersons filed their joint 1976 Federal income tax return (Form 1040) with the Internal Revenue Service Center in Kansas City, Missouri. They filed their respective quarterly gift tax returns (Forms 709) for the calendar quarter ending June 30, 1976, with the Internal Revenue Service Center in Ogden, Utah. The children filed their respective Federal income tax returns (Forms 1040) with the Internal Revenue Service. The trustee filed its Federal fiduciary income tax returns (Forms 1041) for the taxable year beginning April 9, 1976, and ending December 31, 1976, with the Internal Revenue Service.

After graduating from high school and completing one year of college, Peterson worked for*349 several years during the late 1950's as a cattle buyer for a number of companies. In 1960, Peterson became a cattle buyer for Iowa Beef Processors, Inc. (IBP), a beef processing company that was founded by A. D. Anderson (Anderson) and Currier J.

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1986 T.C. Memo. 267, 51 T.C.M. 1300, 1986 Tax Ct. Memo LEXIS 343, Counsel Stack Legal Research, https://law.counselstack.com/opinion/peterson-irrevocable-trust-2-for-benefit-of-peterson-v-commissioner-tax-1986.