Rockwell v. Granger

62 F. Supp. 907, 34 A.F.T.R. (P-H) 512, 1945 U.S. Dist. LEXIS 1883
CourtDistrict Court, W.D. Pennsylvania
DecidedOctober 30, 1945
DocketCiv. A. No. 3205
StatusPublished

This text of 62 F. Supp. 907 (Rockwell v. Granger) is published on Counsel Stack Legal Research, covering District Court, W.D. Pennsylvania primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Rockwell v. Granger, 62 F. Supp. 907, 34 A.F.T.R. (P-H) 512, 1945 U.S. Dist. LEXIS 1883 (W.D. Pa. 1945).

Opinion

McVICAR, District Judge.

After hearing, the Court makes the following findings of fact and conclusions of law:

Findings of Fact.

1. This is an action for the recovery of federal income taxes and interest thereon and arises under the Internal Revenue Laws of the United States.

2. At all times mentioned in the complaint plaintiff was, and now is, a citizen of the United States and a resident within the State and Western District of Pennsylvania.

3. At the time of the collections complained of, and continuously since January 1, 1943, the defendant, Stanley Granger, has been and now is, the duly appointed, qualified and acting Collector of Internal Revenue for the Twenty-third Collection District of Pennsylvania.

4. That for the calendar years 1938, 1939 and 1940, the plaintiff filed his federal income tax returns, reflecting income taxes due thereon for the said years as follows: for 1938, $8,752.92; for 1939, $23,592.44; and for 1940, $51,531.85. Plaintiff paid said taxes to the United States and they are not in controversy in this action.

5. On audit and review of plaintiff’s said income tax returns for 1938, 1939 and 1940, the Commissioner of Internal Revenue assessed additional income taxes against the plaintiff as follows: for 1938, $1,261.35; for 1939, $4,799.47; and for 1940, $18,682.09. The details of said additional assessments appear on Exhibit “A” attached to and forming a part of Exhibit “A-l” which is attached to and forms a part of the complaint.

6. After notice and demand from the defendant as Collector of -Internal Revenue, the plaintiff on January 9, 1943, paid to the said defendant Collector the said alleged deficiencies in income tax for said years, plus interest thereon, as follows: for 1938, tax $1,261.35 and interest $282.-89, or a total of $1,544.24; for 1939, tax $4,799.47 and interest $788.42, or a total of $5,587.89; and for 1940, tax $18,682.09 and interest $1,948.05, or a total of $20,-630.14.

7. Thereafter, on August 5, 1943, plaintiff filed a claim for the refund to him of said collected sums with interest thereon according to law. A copy of the claim for 1940 is attached to the complaint. The claims for 1938 and 1939 were the same as for 1940, with appropriate changes for year and amount.

8. In June, 1943, the Commissioner of Internal Revenue allowed a portion of plaintiff’s claim for refund for 1940 in the amount of $554.93 (relating to the allowance of expenses of the trustee of the trust hereinafter mentioned, and its commission), which amount, together with interest thereon in the amount of $57.86 was repaid to the plaintiff. No part of the said refund related to the question of the taxability of the said trust income in general to any particular person.

[908]*9089. The Copimissioner disallowed the balance of the claim for 1940 on February 28, 1944, and disallowed the claims for 1938 and 1939 (both in full) on May 9, 194fl. Said disallowances were each, by written .notice, sent to the plaintiff by registered mail. . ;

10. . No part of the additional taxes and interest above mentioned has been rebated, refunded or credited to plaintiff except as stated in paragraph 8, above. The balance •of the said collections result from the'inclusion by the Commissioner of Internal •Revenue in the income of the plaintiff, of the income of ,a revocable trust made by plaintiff’s wife, Mrs. Clara T. Rockwell, of which the Union Trust Company of Pittsburgh is trustee, except amounts due to minor miscellaneous adjustments appearing on the “notice of deficiency” in Exhibit '“A” of the Complaint.

11. Prior to August 6, 1929, plaintiff made a gift to his wife, Clara T. Rockwell, of Ten- — $1,000 Central States Electric Corp. 5% Convertible Debenture bonds and One Hundred — $1,000 Pittsburgh Coal Company Sinking Fund Debenture bonds; and also gave and assigned, to her all his right, title and interest in certain life insurance policies on plaintiff’s life, which policies total $500,000. This gift was made unconditionally and without any restriction or limitation of any kind, and was made for the purpose of vesting absolute title in plaintiff’s wife of the bonds and life insurance given.

12. On August 6, 1929, the plaintiff’s wife, Clara T. Rockwell, entered into a written trust agreement, by the terms of Which the Union Trust Company of Pittsburgh became the trustee and the said Clara T. Rockwell transferred said Central States Electric Corporation and Pittsburgh Coal Company bonds to said trustee, and also assigned to it all her right, title and interest in said insurance policies and changed the beneficiary of said policies from herself to the trustee. She delivered •said bonds to the trustee and assigned to it the insurance policies aforesaid. Under the trust agreement the trustee was to receive the income, was first to pay the premiums on said policies of insurance and the expenses of the trust, and the balance was to be paid to Clara T. Rockwell during her lifetime and to lineal descendants after her death. The principal could also be used to pay premiums on the policies..

13. On April 28, .1934, the said Clara T. Rockwell and the trustee executed an amendment to said trust agreement; on July 24, 1940, they executed a further amendment to said trust agreement; and on August 17, 1940, they executed another amendment to said trust agreement. Under the amendment of April 28, 1934, the trustee was authorized to purchase any securities suggested or approved by plaintiff. Under the amendment of July 24, 1940, the trustee' was required to consult with the brother-in-law of Clara T. Rockwell and her son-on .the matter of investments. The amendment of August 17, 1940 was made for the purpose of correcting a typographical error.

14. Clara T. Rockwell had other income from property owned by her which was not a pa.rt of the corpus of said trust estate from August 6, 1929 up to the date of the trial. ’ Her income was sometimes greater and sometimes less than that of her husband, the plaintiff.

15. ’Clara T: Rockwell and the: plaintiff have five children, whose ages in the year 1929 were about ten to twenty-one and their ages at the time of the trial ranged from twenty-five to thirty-six.

16. The trust agreement of August 6, 1929, as variously amended, gave no powers/ privileges, benefits, right, title or interest to the plaintiff in either the corpus of the trust or the income derived therefrom or the management thereof.

17. The gift by the plaintiff to his wife of the aforesaid bonds and insurance" policies was discussed a number of times before the gift was made. This was also true of the trust created by the wife after the gift, but no agreement was made between the- plaintiff and his wife as to the gift and trust.

18. The taxpayer has agreed .that the amount of any recovery to which he may be held "entitled may be reduced by the amount of "the ’ refunds made to Clara T. Rockwell.

Conclusions of Law.

I. The income assessed- by the Commissioner of Internal Revenue, which is the basis for this action, was not income of the plaintiff. .

II. The gift by"the plaintiff to his wife of "the- $110,000 in bonds, mentioned in the findings of fact, and the $500,000 in life insurance assigned to her was done prior [909]*909to August 6, 1929. This gift and assignment was unconditional; it was complete; it was bona fide; it vested the title to the same in Clara T. Rockwell.

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Related

Whiteley v. Commissioner of Internal Revenue
120 F.2d 782 (Third Circuit, 1941)

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Bluebook (online)
62 F. Supp. 907, 34 A.F.T.R. (P-H) 512, 1945 U.S. Dist. LEXIS 1883, Counsel Stack Legal Research, https://law.counselstack.com/opinion/rockwell-v-granger-pawd-1945.