Preston v. Commissioner of Internal Revenue

132 F.2d 763, 30 A.F.T.R. (P-H) 680, 1942 U.S. App. LEXIS 2669
CourtCourt of Appeals for the Second Circuit
DecidedDecember 31, 1942
Docket85
StatusPublished
Cited by21 cases

This text of 132 F.2d 763 (Preston v. Commissioner of Internal Revenue) is published on Counsel Stack Legal Research, covering Court of Appeals for the Second Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Preston v. Commissioner of Internal Revenue, 132 F.2d 763, 30 A.F.T.R. (P-H) 680, 1942 U.S. App. LEXIS 2669 (2d Cir. 1942).

Opinions

SWAN, Circuit Judge.

The question presented is whether the petitioner in computing his taxable net income for the year 1937 is entitled, under section 23(b) of the Revenue Act of 1936, 26 U.S.C.A. Int.Rev.Code, § 23(b), to deduct as “interest paid * * * on indebtedness” payments made on a bond under seal by which he acknowledged himself indebted to United States Trust Company of New York as trustee in the sum of $125,000 and covenanted to pay said sum on October 15, 1954 with interest thereon at 4 per cent, per annum payable in quarterly instalments beginning on December 15, 1934.

Because of circumstances which need not be detailed, the petitioner, with commendable generosity, desired to set up a trust for the benefit of his sister-in-law, Alice, the widow of his deceased brother Jerome. On October 18, 1934, he borrowed $125,000 from a bank and delivered it to the United States Trust Company as trustee to be held pursuant to the terms of a trust indenture executed by him on the same date. The income of the trust was to be paid to Alice, with limitations over in case of her death or remarriage. The trustee was given broad powers of investment and was expressly authorized in its absolute discretion from time to time to loan money to the settlor on his unsecured note or bond maturing in not more than twenty years. On October 19, 1934 the settlor delivered to the trustee his bond under seal for $125,00(1 and interest, as above described, and received the trustee’s check for $125,000, which he endorsed to the bank from which’ he had borrowed the same, sum the day before. He also paid the bank $20.83 as interest on the demand loan for one day-On December 15, 1934 and quarterly thereafter, the petitioner caused the interest payments required by his bond to be made to-the trustee It entered the payments as “interest” on the cash receipts and disbursements account which it kept for the trust, and it filed a fiduciary inconie tax return for the year 1937 showing receipt during the year of $5,000 as interest, the expenditure of $125.25 for commissions and expenses, and the distribution of the balance to the life beneficiary. For the year 1934 the petitioner filed a gift tax return in which he reported a gift of $125,000 to United States Trust Company as trustee, and paid the gift tax so reported.

In the opinion of the Tax Court, 44 B.T.A. 973, the basic question was whether or not the petitioner’s bond was a legally enforceable obligation, and the conclusion was reached that it was unenforceable either by the trustee or the beneficiary. On the strength of later cases the Commissioner now concedes that the Tax Court erred in its view of the applicable New York law relating to a covenant under seal.

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Bluebook (online)
132 F.2d 763, 30 A.F.T.R. (P-H) 680, 1942 U.S. App. LEXIS 2669, Counsel Stack Legal Research, https://law.counselstack.com/opinion/preston-v-commissioner-of-internal-revenue-ca2-1942.