Robino, Inc. Pension Trust Auke Bay Fish and Fruit Company Pension Trust Miles S. Schlosberg & Beth A. Schlosberg George Filler v. Commissioner of Internal Revenue, George Filler Evelyn Filler v. Commissioner of Internal Revenue, Miles S. Schlosberg Beth A. Schlosberg v. Commissioner of Internal Revenue

894 F.2d 342, 12 Employee Benefits Cas. (BNA) 1111, 65 A.F.T.R.2d (RIA) 588, 1990 U.S. App. LEXIS 749
CourtCourt of Appeals for the Ninth Circuit
DecidedJanuary 24, 1990
Docket88-7433
StatusPublished
Cited by1 cases

This text of 894 F.2d 342 (Robino, Inc. Pension Trust Auke Bay Fish and Fruit Company Pension Trust Miles S. Schlosberg & Beth A. Schlosberg George Filler v. Commissioner of Internal Revenue, George Filler Evelyn Filler v. Commissioner of Internal Revenue, Miles S. Schlosberg Beth A. Schlosberg v. Commissioner of Internal Revenue) is published on Counsel Stack Legal Research, covering Court of Appeals for the Ninth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Robino, Inc. Pension Trust Auke Bay Fish and Fruit Company Pension Trust Miles S. Schlosberg & Beth A. Schlosberg George Filler v. Commissioner of Internal Revenue, George Filler Evelyn Filler v. Commissioner of Internal Revenue, Miles S. Schlosberg Beth A. Schlosberg v. Commissioner of Internal Revenue, 894 F.2d 342, 12 Employee Benefits Cas. (BNA) 1111, 65 A.F.T.R.2d (RIA) 588, 1990 U.S. App. LEXIS 749 (9th Cir. 1990).

Opinion

894 F.2d 342

65 A.F.T.R.2d 90-588, 90-1 USTC P 50,059,
12 Employee Benefits Ca 1111

ROBINO, INC. PENSION TRUST; Auke Bay Fish and Fruit Company
Pension Trust; Miles S. Schlosberg & Beth A.
Schlosberg; George Filler, Petitioners-Appellees,
v.
COMMISSIONER OF INTERNAL REVENUE, Respondent-Appellant.
George FILLER; Evelyn Filler, Petitioners-Appellants,
v.
COMMISSIONER OF INTERNAL REVENUE, Respondent-Appellee.
Miles S. SCHLOSBERG; Beth A. Schlosberg, Petitioners-Appellants,
v.
COMMISSIONER OF INTERNAL REVENUE, Respondent-Appellee.

Nos. 88-7433, 88-7441 and 88-7442.

United States Court of Appeals,
Ninth Circuit.

Argued and Submitted Dec. 5, 1989.
Decided Jan. 24, 1990.

Darrell D. Hallett, Chicoine & Hallett, P.S., Seattle, Wash., for petitioners-appellants.

Gary R. Allen, John A. Dudeck, Jr., Tax Div., Dept. of Justice, Washington, D.C., for respondent-appellant.

Appeal from a Decision of the United States Tax Court.

Before CANBY, WIGGINS and FERNANDEZ, Circuit Judges.

WIGGINS, Circuit Judge:

Taxpayers George Filler and Miles Schlosberg1 appeal the tax court's decision that their sale of real property to their pension trusts, which immediately resold the property to a third party for substantial gain, was in substance a sale by the individuals to the third party so that the gain to the trust should be attributed to the individuals. We have jurisdiction under I.R.C. Sec. 7482(a) (Supp. V 1987). We affirm.

BACKGROUND

The tax court found the following facts: In March 1981, Filler and Schlosberg, as tenants in common, paid $1.45 million for real property in downtown Juneau, Alaska. They divided the property into two parcels. The developed parcel, to which they allocated $1 million of the purchase price, they leased to the Alaska Department of Fish and Game. The undeveloped parcel, to which they allocated $450,000 of the purchase price, they held.

The commercial real estate market in Juneau was volatile in 1981, partly because the state was considering moving its capital from Juneau. In Spring 1981, Charles Blomfield, a real estate developer, learned that a property owner would not renew his lease with the Alaska Department of Labor when the lease expired. Blomfield's partner persuaded the state to allow open bidding for a replacement lease. In May or early June 1981, Blomfield had his broker ask real estate agent Henry Tiffany to locate a site in Juneau on which he could construct an office building if the Department of Labor accepted his bid.

In June and July 1981, Tiffany spoke with Schlosberg several times about obtaining an option to purchase the undeveloped parcel, explaining that Blomfield planned to bid for the Department of Labor lease and that the parcel was well suited for the type of building the Department of Labor desired.

After a June 3, 1981 meeting with a tax lawyer, Schlosberg suggested to Filler that the Auke Bay Trust, a tax-exempt pension trust for which Schlosberg was the sole trustee and beneficiary, buy an option to purchase Filler's interest in the parcel while Filler and his wife set up a similar trust (the Robino Trust) to buy an identical option to purchase Schlosberg's interest. Filler and Schlosberg would each sell for $5,000 to the other's trust an option to buy his half share of the undeveloped parcel within two years for $275,000. Filler agreed. The Fillers created the Robino Trust on July 1, 1981. The Fillers and Schlosberg signed the cross-options on July 13, 1981.

Also on July 13, 1981, following discussions with Schlosberg, Tiffany delivered to Schlosberg proposed options for Alaska Coastal Real Estate to purchase the undeveloped parcel within three months. Notwithstanding that they had granted options to their trusts to buy the property during this period, Filler and Schlosberg as individuals executed the options. They agreed on an option price of approximately $1.3 million.

On September 15, 1981, Filler and Schlosberg as trustees for their respective trusts executed options to Blomfield to purchase the undeveloped parcel within two and one-half months if the Department of Labor awarded Blomfield its lease. The parties agreed on the same $1.3 million option price on which Filler, Schlosberg, and Tiffany had agreed in July 1981.

The Department of Labor did award Blomfield its lease. On October 10, 1981 Blomfield wrote to Schlosberg and Filler that he would exercise his options. On October 30, 1981, the trusts exercised their options to buy the parcel. On October 31, 1981 the trusts conveyed their interest in the parcel to Blomfield.

Filler and Schlosberg each reported taxable gains of approximately $50,000, the difference between the $275,000 price paid by his trust to exercise its cross-option and his $225,000 basis in his half interest in the parcel.

The IRS determined that the trusts were merely conduits for the individuals' sale of the parcel to Blomfield. The IRS computed each individual's taxable gain as approximately $430,000, the difference between the approximately $655,000 Blomfield paid to each trust for its half interest in the parcel and each individual taxpayer's $225,000 basis in his half interest in the parcel. The tax court upheld the IRS's positions.

DISCUSSION2

The tax consequences of a transaction depend upon its substance, not its form. Commissioner v. Court Holding Co., 324 U.S. 331, 334, 65 S.Ct. 707, 708, 89 L.Ed. 981 (1945). "A sale by one person cannot be transformed for tax purposes into a sale by another by using the latter as a conduit through which to pass title." Id.

We will uphold factual findings of the tax court unless they are clearly erroneous. Moss v. Commissioner, 831 F.2d 833, 837 (9th Cir.1987). "Whether for tax purposes several acts constitute separate and distinct transactions or are integrated steps in a single transaction is a question of fact." Jacobs v. Commissioner, 224 F.2d 412, 413 (9th Cir.1955) (citing United States v. Cumberland Public Serv. Co., 338 U.S. 451, 456, 70 S.Ct. 280, 282, 94 L.Ed. 251 (1950); Commissioner v. Court Holding Co., 324 U.S. 331, 334, 65 S.Ct. 707, 708, 89 L.Ed. 981 (1945)). "It is for the trial court, upon consideration of an entire transaction, to determine the factual category in which a particular transaction belongs." Cumberland, 338 U.S. at 456, 70 S.Ct. at 282.

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894 F.2d 342, 12 Employee Benefits Cas. (BNA) 1111, 65 A.F.T.R.2d (RIA) 588, 1990 U.S. App. LEXIS 749, Counsel Stack Legal Research, https://law.counselstack.com/opinion/robino-inc-pension-trust-auke-bay-fish-and-fruit-company-pension-trust-ca9-1990.