Real Estate Corporation, Inc. v. Commissioner of Internal Revenue

301 F.2d 423
CourtCourt of Appeals for the Tenth Circuit
DecidedApril 23, 1962
Docket6824
StatusPublished
Cited by25 cases

This text of 301 F.2d 423 (Real Estate Corporation, Inc. v. Commissioner of Internal Revenue) is published on Counsel Stack Legal Research, covering Court of Appeals for the Tenth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

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Real Estate Corporation, Inc. v. Commissioner of Internal Revenue, 301 F.2d 423 (10th Cir. 1962).

Opinion

HUXMAN, Circuit Judge.

This is an appeal from the decision of the Tax Court, holding first, that with respect to the income involved for the years in question petitioner was engaged in the business of buying and selling real estate in the ordinary course of business and not for investment purposes, and therefore, the income was taxable as ordinary income under Sections 117(a) (1) (A) and 117(j) (1) of the Internal Revenue Code of 1939, 26 U.S.C.A. § 117(a) (1) (A), (j) (1); and second, that petitioner was not entitled to postpone recognition of the gain realized from the sale of 77 lots to the Union Pacific Railroad Company in 1952 under provisions of Section 112(f) of the 1939 Code, 26 U.S.C.A. § 112(f). Based upon these conclusions, additional income taxes for the years in question were assessed.

A detailed statement of how petitioner came to be is necessary to understand the problems presented. The Riverview State Bank, a Kansas corporation, 1 is forbidden by Kansas law to hold or own real estate. The City of Kansas City, Kansas, paid for certain public improvements by issuing and delivering to contractors tax bills which they in turn sold to purchasers to obtain money to finance their operations. These tax bills became a lien on the property which was subject to assessment for taxes. If the taxes were not paid, the property was sold for taxes. The bank purchased several hundred thousand dollars worth of these tax bills. When owners of tracts of land failed to pay the taxes levied against their property, the land was sold at tax sale and to protect its investment in these tax bills, the bank was forced to purchase the land at such sales. The state and federal bank examiners objected to these purchases of land. To divest itself of these holdings, the bank formed a wholly-owned subsidiary corporation, the General Securities Corporation, to hold these certificates and lands. The bank examiners objected to this arrangement, whereupon, considerable persons, with one exception stockholders in the bank, organized petitioner, the Real Estate Corporation, Inc. 2 to hold these assets. The corporation purchased all the assets of the General Securities Corporation, giving its note in the amount of $23,944.02. The number of lots thus acquired was between one thousand and two thousand. For the years, 1949 through 1952, the corporation’s activities in the purchase and sale of these lots were as follows:

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