Pool v. Commissioner

1956 T.C. Memo. 64, 15 T.C.M. 296, 1956 Tax Ct. Memo LEXIS 229
CourtUnited States Tax Court
DecidedMarch 20, 1956
DocketDocket Nos. 36108-36114.
StatusUnpublished

This text of 1956 T.C. Memo. 64 (Pool 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
Pool v. Commissioner, 1956 T.C. Memo. 64, 15 T.C.M. 296, 1956 Tax Ct. Memo LEXIS 229 (tax 1956).

Opinion

Edward Pool and Lottie Pool et al. 1 v. Commissioner.
Pool v. Commissioner
Docket Nos. 36108-36114.
United States Tax Court
T.C. Memo 1956-64; 1956 Tax Ct. Memo LEXIS 229; 15 T.C.M. (CCH) 296; T.C.M. (RIA) 56064;
March 20, 1956
Irving I. Axelrad, Esq., for the petitioners. Donald P. Chehock, Esq., for the respondent.

TURNER

Memorandum Findings of Fact and Opinion

TURNER, Judge: The respondent determined deficiencies in income tax against the petitioners as follows:

Docket No.YearDeficiency
36108Edward Pool and Lottie Pool1948$ 29,399.88
36109Edward Pool194612,919.82
1947100,829.79
36110Lottie Pool194612,919.82
1947100,829.78
36111William K. Murphy194612,569.14
1947112,359.85
36112Edna Murphy194612,569.13
1947112,359.84
36113William K. Murphy and Edna Murphy194828,207.82
36114Artcraft Builders, Inc.194648,814.50

*230 The questions for decision are (1) whether in 1944 and 1946 Artcraft Builders, Inc., realized gain as the result of transfers or distributions made by it to its stockholders; (2) whether by reason of the transfers or distributions in 1946, the stockholders received income; and (3) whether in the selling of 170 duplexes which had been transferred or distributed to them in the years above, the stockholders were selling property held by them primarily for sale to customers in the ordinary course of their business, to the end that the gain realized was not capital gain, as claimed by them, but ordinary income.

Findings of Fact

Some of the facts have been stipulated.

Edward Pool and Lottie Pool are husband and wife. They filed their income tax returns on a cash basis and by calendar years, and their returns for the years herein were filed with the collector of internal revenue for the sixth district of California. For the years 1946 and 1947 they filed separate returns. For the year 1948 they filed a joint return.

William K. Murphy and Edna Murphy are husband and wife. They filed their returns on a cash basis and by calendar years, and their returns for the years herein were filed*231 with the collector of internal revenue for the sixth district of California. For the years 1946 and 1947 they filed separate returns. For the year 1948 they filed a joint return.

Artcraft Builders, Inc., sometimes referred to as Artcraft, is a California corporation. Until 1944, its principal place of business was in Los Angeles. Since 1945 its principal place of business has been in Long Beach. At all times material herein it kept its books on an accrual basis and filed its income tax returns for calendar years with the collector of internal revenue for the sixth district of California.

Artcraft was organized on March 10, 1941. Its authorized capital stock consisted of 4,000 shares of Class A preferred stock and 21,000 shares of Class B common stock. Both classes of stock had voting rights, share for share. The Class A shares carried the right to cumulative dividends at 8 per cent. At the time of incorporation the 4,000 shares of Class A stock were issued, 800 shares to R. T. Cooke and Mary Cooke and 3,200 shares to J. S. A. Smith and Gertrude C. Smith. Of the Class B common stock, 3,000 shares were issued, 200 shares to R.T. and Mary Cooke; 800 shares to J. S. A. and Gertrude*232 C. Smith; 1,000 shares to Edward Pool and 1,000 shares to William K. Murphy.

Artcraft was organized to engage in residential building construction. During 1941 most, if not all, of its business was that of constructing houses under contract for others. During 1942 the major portion of its income was derived from building houses for sale for its own account, although it did have some income from building contracts. In 1942 it built for sale on its own account and sold 142 houses in Los Angeles County. In 1943 it built for sale on its own account and sold 188 houses, all of which were likewise located in Los Angeles County. It derived no income in 1943 from building under contract for others.

Edward Pool was named president of Artcraft. He had been a builder during all of his business life. Prior to 1935, when he moved to Long Beach, he had lived in Cincinnati, Ohio, and had built houses in that area. During the period of his operations in the Cincinnati area and after moving to Long Beach, but prior to the organization of Artcraft, he had built houses both for sale on his own account and for others under contract.

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Bluebook (online)
1956 T.C. Memo. 64, 15 T.C.M. 296, 1956 Tax Ct. Memo LEXIS 229, Counsel Stack Legal Research, https://law.counselstack.com/opinion/pool-v-commissioner-tax-1956.