Rhodes v. Commissioner

3 T.C.M. 963, 1944 Tax Ct. Memo LEXIS 116
CourtUnited States Tax Court
DecidedSeptember 16, 1944
DocketDocket No. 1709.
StatusUnpublished

This text of 3 T.C.M. 963 (Rhodes 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
Rhodes v. Commissioner, 3 T.C.M. 963, 1944 Tax Ct. Memo LEXIS 116 (tax 1944).

Opinion

Helen Irene Rhodes v. Commissioner.
Rhodes v. Commissioner
Docket No. 1709.
United States Tax Court
1944 Tax Ct. Memo LEXIS 116; 3 T.C.M. (CCH) 963; T.C.M. (RIA) 44301;
September 16, 1944
*116 Clem F. Storckman, Esq. and Robt. A. Lennertson, C.P.A., 1307 Washington Ave., St. Louis, Mo., for the petitioner. J. E. Marshall, Esq. and James J. Waters, Esq., for the respondent.

KERN

Memorandum Findings of Fact and Opinion

This case involves a deficiency in petitioner's income tax for 1939 in the amount of $5,466.67. The principal question raised is whether petitioner realized a taxable gain on the disposition of all or a part of her shares of Fischer Meat Co. stock.

Respondent determined that petitioner had additional or other income not disclosed by her return for 1939 in the amount of $37,474.44, with this explanatory paragraph in the deficiency notice:

It is held that the sum of $59,000 paid to you in 1939 by Fischer Meat Company and Frederick F. Fischer in consideration of the surrender of your stock in Fischer Meat Company together with your right to a bequest of additional shares in the same corporation and the settlement of certain controversies between yourself, Frederick F. Fischer and Fischer Meat Company, constitutes taxable income within the meaning of section 22 (a) of the Internal Revenue Code. Deduction has been allowed for legal fees expended in the amount*117 of $8,650.00, and for the basis of the stock in the sum of $12,875.56.

The facts, stipulated in part, are as follows:

Findings of Fact

Petitioner filed her Federal income tax return for the taxable year 1939 with the collector for the first district of Missouri at St. Louis, Missouri.

Otto Frederick Fischer was the husband of Mary C. Fischer and the father of Frederick Francis Fischer, Helen Irene Fischer, who became by marriage Helen Irene Rhodes (the petitioner), and Gertrude Fischer, who by her first marriage became Gertrude De Donato and by her second marriage Gertrude Boerger. Helen M. De Donato is a daughter of Gertrude Boerger and a granddaughter of Otto Frederick Fischer.

Fischer Meat Co. is a corporation organized under the laws of Missouri in 1900, succeeding Fischer Packing Co. established in 1895 by Otto Frederick Fischer. Fischer Meat Co. is engaged in the meat provision business, selling to hotels, restaurants, clubs, industrial cafeterias, and markets throughout the St. Louis area and elsewhere, with its principal place of business at 415 Delmar Boulevard, St. Louis, Missouri. It began business on October 26, 1900, with an authorized capitalization of $3,000, divided*118 into 30 shares of common stock of the par value of $100 per share. These shares were issued to and owned by the following individuals in the amounts here set opposite their names:

Otto Frederick Fischer28 shares
Frederick Francis Fischer1 shares
Mary C. Fischer1 shares
Total30shares

On January 30, 1923, Otto Frederick Fischer gave three shares of his stock to Mary C. Fischer, his wife, three shares to Frederick Francis Fischer, two shares to Helen Irene Fischer and two shares to Gertrude Boerger. After these gifts were made, the 30 issued and outstanding shares of Fischer Meat Company were owned as follows:

Otto Frederick Fischer18 shares
Frederick Francis Fischer4 shares
Mary C. Fischer4 shares
Helen Irene Fischer2 shares
Gertrude Boerger2 shares
Total30 shares

On February 5, 1923, the authorized capitalization of Fischer Meat Co., was increased from $3,000 to $225,000, divided into 2,250 shares of common stock of the par value of $100 per share; and on the same date, a stock dividend of 74 shares for each share held was declared and paid, and the issued and outstanding stock of Fischer Meat Co. was then held as follows:

Otto Frederick Fischer1,350 shares
Frederick Francis Fischer300 shares
Mary C. Fischer300 shares
Helen Irene Fischer150 shares
Gertrude Boerger150 shares
Total2,250 shares

*119 Otto Frederick Fischer died testate at St. Louis on August 4, 1938, leaving as his survivors, his widow, Mary C. Fischer, his son, Frederick Francis Fischer, and his two daughters, Helen Irene Rhodes, and Gertrude Boerger, the latter of whom had transferred her 150 shares of Fischer Meat Co. stock to her daughter, Helen Marie De Donato.

The will of Otto Frederick Fischer bequeathed his 1,350 shares of Fischer Meat Co. stock, as follows:

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Lyeth v. Hoey
305 U.S. 188 (Supreme Court, 1938)
Quigley v. Commissioner
1 T.C. 831 (U.S. Tax Court, 1943)

Cite This Page — Counsel Stack

Bluebook (online)
3 T.C.M. 963, 1944 Tax Ct. Memo LEXIS 116, Counsel Stack Legal Research, https://law.counselstack.com/opinion/rhodes-v-commissioner-tax-1944.