Pullman v. Commissioner

1964 T.C. Memo. 218, 23 T.C.M. 1310, 1964 Tax Ct. Memo LEXIS 119
United States Tax Court·Decided August 18, 1964·No. Docket Nos. 2481-62, 2482-62.·Unpublished

Opinion

Henry and Helen Pullman v. Commissioner. Jack and Victoria Pullman v. Commissioner.
Pullman v. Commissioner
Docket Nos. 2481-62, 2482-62.
United States Tax Court
T.C. Memo 1964-218; 1964 Tax Ct. Memo LEXIS 119; 23 T.C.M. (CCH) 1310; T.C.M. (RIA) 64218;
August 18, 1964
Alonzo W. Watson, Jr., and C. Preston Allen, Deseret Bldg., Salt Lake City, Utah, for the petitioners. James Booher, for the respondent.

WITHEY

Memorandum Findings of Fact and Opinion

WITHEY, Judge: The respondent*120 has determined deficiencies in petitioners' income tax for the years and in the amounts as follows:

PetitionerDocket No.YearDeficiency
Henry and Helen Pullman2481-621958$10,757.72
195911,551.02
196010,257.96
Jack and Victoria Pullman2482-6219583,398.53
19592,464.82
19601,645.80

The cases were consolidated for trial and decision.

The issues presented for our decision are (1) whether petitioners transferred certain shares of the nonvoting common stock of Pullman Wholesale Tailors, Inc., to the Henry Pullman Foundation during 1958, 1959, and 1960 as completed gifts within the purview of section 170 of the Internal Revenue Code of 1954; (2) whether petitioner. Henry Pullman transferred 1,670 shares of the nonvoting common stock of Pullman Wholesale Tailors, Inc., to the Salt Lake Jewish Welfare Fund during 1958 as a completed gift under section 170 of the 1954 Code; (3) in the alternative, in the event we find that either of such transfers of the nonvoting common stock of Pullman Wholesale Tailors, Inc., constituted a completed gift, whether the fair market value of the shares so transferred*121 was 51 cents, 48 cents, and 47 cents at the time of transfer during 1958, 1959, and 1960, respectively.

Findings of Fact

The stipulated facts have been found as stipulated.

Petitioners Henry and Helen Pullman are husband and wife residing at Salt Lake City, Utah. They filed their joint income tax returns for 1958, 1959, and 1960 with the director at Salt Lake City. Petitioner Henry Pullman is sometimes hereinafter referred to as petitioner.

Petitioners Jack and Victoria Pullman also are husband and wife residing at Salt Lake City. They likewise filed joint income tax returns for 1958, 1959, and 1960 with the director at Salt Lake City.

Pullman Wholesale Tailors, Inc., sometimes hereinafter referred to as Tailors or the corporation, is a corporation which was organized under the laws of the State of Utah on or about July 9, 1930. Its initial capital was $2,000.

The corporation was at all times here material engaged in the business of manufacturing and selling men's clothing. It operates through wholesale and controlled retail stores and salesmen primarily in Salt Lake City and Ogden, Utah, areas. It also sells men's clothing from its factory outlet which is located at Salt*122 Lake City. Its controlled retail outlets maintain cash balances sufficient to pay in full for all merchandise owned by the corporation.

Tailors maintains an excellent credit position and thereby is able to purchase articles on extremely favorable terms. Its assets consist primarily of its clothing inventory and cash. The corporation during the years here involved could have liquidated its entire inventory in any of its controlled retail outlets at a profit at any time.

Henry Pullman has at all times here material served as president of Tailors and Jack Pullman is its treasurer. Since its inception Tailors has been managed by Henry Pullman and has been controlled by members of the Pullman family.

Immediately prior to December 14, 1955, the capital stock of Tailors consisted of 200,000 authorized and 172,181 outstanding shares of common voting stock. On or about December 14, 1955, the corporation's stockholders exchanged their old voting common stock for new voting and nonvoting common shares. The shares held by each of the stockholders of Tailors immediately before and immediately after this exchange were as follows:

Shares of common
Shares of old common

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Pullman v. Commissioner, 1964 T.C. Memo. 218, 23 T.C.M. 1310, 1964 Tax Ct. Memo LEXIS 119 (tax 1964).

1964 T.C. Memo. 218 (Pullman v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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