Polish American Club, Inc. v. Commissioner

1974 T.C. Memo. 207, 33 T.C.M. 925, 1974 Tax Ct. Memo LEXIS 113
United States Tax Court·Decided August 6, 1974·No. Docket No. 423-71.·Unpublished·Cited by 1 cases

Opinion

POLISH AMERICAN CLUB, INC., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Polish American Club, Inc. v. Commissioner
Docket No. 423-71.
United States Tax Court
T.C. Memo 1974-207; 1974 Tax Ct. Memo LEXIS 113; 33 T.C.M. (CCH) 925; T.C.M. (RIA) 74207;
August 6, 1974, Filed.
Stanley J. Mosio, for petitioner.
R. Burns Mossman, for the respondent.

GOFFE

MEMORANDUM FINDINGS OF FACT AND OPINION

GOFFE, Judge: The Commissioner determined the following deficiencies in petitioner's Federal income tax:

YearAmount
1966$ 778.43
1967983.80
19682,052.41
Total$3,814.64

The primary issue for decision is whether petitioner was exempt from income tax under the provisions of section 501(c) (7)1 for the taxable years 1966, 1967 and 1968. In the alternative petitioner claims exemption under section 501(c) (4). Should we decide that petitioner does not qualify for exempt status under either section 501(c) (7) or section 501(c) (4), the following issues must be decided:

(1) Whether the amounts received for dues and "special calls" from club members in 1966, 1967 and 1968*116 constitute taxable income to petitioner under section 61(a);

(2) Whether respondent properly determined petitioner's deductions for depreciation; and

(3) Whether petitioner is entitled to deductions in 1966, 1967 and 1968 for charitable contributions for gifts of miscellaneous club property.

FINDINGS OF FACT

Some of the facts have been stipulated. The stipulation of facts and exhibits are incorporated by this reference.

The petitioner, Polish American Club, Inc., is a corporation organized under the laws of Minnesota. Its principal office and club facilities are located at St. Paul, Minnesota.

The Internal Revenue Service on July 27, 1945, granted the club an exemption from Federal income tax under the provisions of section 101(9), Internal Revenue Code of 1939 (predecessor of section 501(c) (7)).

The club filed a Federal Return of Organizations Exempt From Income Tax (Form 990) for each of the taxable years 1966, 1967 and 1968.

The club was organized in 1928 and incorporated in 1929. Its constitution sets forth its general purposes as follows:

(1) To provide*117 for the comfort, education, recreation and general welfare of its members;

(2) To secure for its members proper recognition and consideration in the matter of municipal improvements and governmental affairs;

(3) To promote a proper regard for the principles of American citizenship; and

(4) To foster the language, traditions and culture of Poland.

The club's facilities consist of a clubhouse constructed in 1928 and located at 1003 Arcade Street, St. Paul, Minnesota. It is located in the Polish-American section of St. Paul and there were 8,000 to 10,000 people of Polish descent in the neighborhood of the club during the years in issue.

The building owned by the club consists of two floors. The first floor contains a large meeting hall and two small rooms used by the club officers. The basement level contains two meeting halls, a kitchen, a large barroom and rest rooms. The club is open to members seven days a week. Its bar serves beer and soft drinks during the hours the club is open.

During 1966 through 1968, the club membership was divided into three classes: active or regular members; social members; and honorary members. Regular membership was open to male persons*118 of Polish descent who had attained the age of 18 years whose application was approved by the membership committee and the club membership.

Social membership was designed to permit persons not of Polish descent to join the club, and any male whose application was approved could become a social member.

Social members had no vote in matters pertaining to the management of the club, no right to attend regular meetings of the club, no right to hold an elective office in the club and had only such privileges as the club by vote of its active members determined. Honorary membership was granted for distinguished service in areas of interest fostered by the club.

During the years 1966, 1967 and 1968 the annual dues were as follows:

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Polish American Club, Inc. v. Commissioner, 1974 T.C. Memo. 207, 33 T.C.M. 925, 1974 Tax Ct. Memo LEXIS 113 (tax 1974).

1974 T.C. Memo. 207 (Polish American Club, Inc. v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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