Roark Furniture, Inc. v. Commissioner

1963 T.C. Memo. 51, 22 T.C.M. 193, 1963 Tax Ct. Memo LEXIS 294
CourtUnited States Tax Court
DecidedFebruary 20, 1963
DocketDocket No. 88793.
StatusUnpublished

This text of 1963 T.C. Memo. 51 (Roark Furniture, Inc. 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.

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Roark Furniture, Inc. v. Commissioner, 1963 T.C. Memo. 51, 22 T.C.M. 193, 1963 Tax Ct. Memo LEXIS 294 (tax 1963).

Opinion

Roark Furniture, Inc. v. Commissioner.
Roark Furniture, Inc. v. Commissioner
Docket No. 88793.
United States Tax Court
T.C. Memo 1963-51; 1963 Tax Ct. Memo LEXIS 294; 22 T.C.M. (CCH) 193; T.C.M. (RIA) 63051;
February 20, 1963

*294 Held, that rentals paid pursuant to a percentage of sales lease between two corporations controlled by the same stockholders, were excessive. Amounts of fair rentals that would have been "required" to be paid for the use or possession of the property covered by the lease, if the parties thereto had negotiated as strangers dealing at arm's length, determined.

Charles W. Slicer, Esq., 734 Third Nat. Bldg., Dayton, Ohio, and Shearl J. Roberts, Esq., for the petitioner. Gene E. Hutson, Esq., for the respondent.

PIERCE

Memorandum Findings of Fact and Opinion

PIERCE, Judge: The respondent determined deficiencies in the income taxes of the petitioner, as follows: *295

Taxable Fiscal Year
Ended September 30Deficiency
1956$19,584.31
19588,692.69
19596,797.43

For petitioner's fiscal year ended September 30, 1957, the respondent did not determine any deficiency. However, as the result of certain adjustments, he did reduce the amount of petitioner's claimed net operating loss for that year, which had the effect of reducing the amount of petitioner's net operating loss carryback to its fiscal year 1956.

The sole question for decision is: What amount is deductible by petitioner as rent for each of its fiscal years 1956 through 1959, under section 162(a)(3) of the 1954 Code, for the occupancy of certain properties used in its business, which it leased from a related corporation, Roark Investment Company?

Another issue raised by the pleadings, relating to deductions for depreciation in respect of certain trucks used by petitioner in its business, was conceded by petitioner at the trial.

Findings of Fact

Some of the facts were stipulated. The stipulation of facts, together with the exhibits identified therein, is incorporated herein by reference.

The petitioner, Roark Furniture, Inc., is an Ohio corporation, with its*296 principal place of business at Laura, Ohio. Throughout the taxable years here involved, petitioner operated a business of selling at retail - furniture, rugs, household appliances, house trailers, guns, and other miscellaneous merchandise (hereinafter, for convenience, called simply "the furniture business"). It filed a Federal income tax return for each of its fiscal years ended September 30, 1956 through 1959, with the district director of internal revenue at Cincinnati, Ohio.

Petitioner had been preceded in its corporate operation of the furniture business at Laura by a sole proprietorship, which belonged to Hobart Roark (subsequently president of petitioner), who had begun his proprietorship operations in about 1948. Laura is a small village, having a population during the taxable years of about 450, which is located in Miami County, Ohio. The distance from Laura to the center of Dayton (the largest city in petitioner's general area) is approximately 25 miles, and the driving time between these two points is roughly 30 minutes. The proprietorship was a "high volume, low markup" merchandising operation; and it pursued an aggressive advertising campaign in the Dayton newspapers*297 and through the media of the radio and television stations of that city, in its efforts to attract customers. The great majority of its customers did in fact come from Dayton.

By September 1955, the proprietorship's operations were carried on in a group of several adjacent buildings in Laura; and it also utilized two buildings for warehouse purposes, which were located in the neighboring small, rural communities of Pitsburg and West Milton. A brief description of these properties is as follows:

1. The "corner building," lot 122, Laura. - This was a 1-story conventional small town brick store building, used by the proprietorship for the display and sale of bedroom furniture. The "corner building" contained 3,220 square feet of floor space. To the rear of the "corner building," there was an unimproved ground area containing 3,040 square feet; but the record is silent as to the particular use made of this lot.

2. The Roark residence, lot 121, Laura. - This was a 2-story brick residence building, located adjacent to the "corner building," Only the first floor and the basement were used in the proprietorship's business - the first floor, for the display of living room furniture in*298 homelike surroundings; and the basement, for holding sales training classes for the proprietorship's sales personnel. The balance of the building was used by said Hobart Roark as his personal residence.

3. Cottage and garage, lot 121, Laura. - These were small buildings, containing 676 and 506 square feet of floor space, respectively, which were located on the same lot as, and to the rear of, the Roark residence. The cottage, like the first floor of the residence, was utilized to display furniture in homelike surroundings. The garage was used in the proprietorship's business in a manner not shown by the record. The structural characteristics of these buildings are not revealed by the evidence.

4. 1-story brick store building, lot 120, Laura. - This was a conventional store building, situated adjacent to the Roark residence, and containing 1,250 square feet of floor space, where living room furniture was displayed and sold.

5. 1-story cement-block building, lot 120, Laura. - Said building was located to the rear of, and it was connected by a covered passageway with, the justmentioned 1-story brick store building.

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1963 T.C. Memo. 51, 22 T.C.M. 193, 1963 Tax Ct. Memo LEXIS 294, Counsel Stack Legal Research, https://law.counselstack.com/opinion/roark-furniture-inc-v-commissioner-tax-1963.