Rosati v. Commissioner

1970 T.C. Memo. 343, 29 T.C.M. 1661, 1970 Tax Ct. Memo LEXIS 17
CourtUnited States Tax Court
DecidedDecember 17, 1970
DocketDocket No. 1292-68.
StatusUnpublished
Cited by1 cases

This text of 1970 T.C. Memo. 343 (Rosati 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
Rosati v. Commissioner, 1970 T.C. Memo. 343, 29 T.C.M. 1661, 1970 Tax Ct. Memo LEXIS 17 (tax 1970).

Opinion

Ida Rosati, surviving wife of James Rosati,sr., deceased and Ida Rosati, individually v. Commissioner.
Rosati v. Commissioner
Docket No. 1292-68.
United States Tax Court
T.C. Memo 1970-343; 1970 Tax Ct. Memo LEXIS 17; 29 T.C.M. (CCH) 1661; T.C.M. (RIA) 70343;
December 17, 1970, Filed

*17 In order to secure the release of a Federal tax lien upon the assets of a corporation, petitioner's husband, who was president and director and held at least 64 percent of the corporation's stock, executed a guaranty for payment of the taxes. Petitioner and her husband also mortgaged to the United States real estate owned individually by them to further secure payment of taxes. Upon default by the corporate principal obligor, petitioner and her husband transferred to the United States by deed all of their interest in the property previously mortgaged to the United States. Held, the loss sustained upon the transfer of the property was a business bad debt loss.

Anthony S. Battaglia and Howard P. Ross, 3835 Central Ave., P.O. Box 12078, St. Petersburg, Fla., for the petitioners. Frank B. Metcalf, for the respondent.

WITHEY

*18 Memorandum Findings of Fact and Opinion

WITHEY, Judge: The Commissioner determined deficiencies of $22,096.78 and $3,578.52 in petitioners' income taxes for the taxable years 1962 and 1963, respectively. The sole question to be decided is whether petitioners are entitled to net operating loss deductions for the years 1962 and 1963 as a result of net operating loss carrybacks from the year 1965. 1662

Findings of Fact

*19 The parties have stipulated certain facts which are accordingly found as fact.

The petitioners herein are Ida Rosati, individually, and Ida Rosati as surviving wife of James Rosati, Sr., deceased. At the time of filing the petition herein, Ida Rosati resided at St. Petersburg, Florida. James Rosati, Sr., died on October 15, 1967, and at the time of trial, no representative had been appointed for his estate. Until James' death, he and Ida were at all times relevant herein husband and wife. They filed joint income tax returns for their taxable years 1962 through 1965 with the district director of internal revenue at Jacksonville, Florida.

James was president and director and held at least 64 percent of the capital stock of Orange Lake Homes, Inc. (hereinafter referred to as the corporation), from its inception in 1955 until January 3, 1964, when his stock was redeemed. The corporation was solely engaged in the construction of homes and related improvements such as streets, water lines, and sewers.

The corporation borrowed approximately 90 percent of its capital needed for land development*20 from First Federal Savings and Loan Association of St. Petersburg, Florida. As security for these loans, First Federal required petitioners' personal guaranty as well as a first mortgage on the property purchased and developed through the use of the borrowed funds. Homes completed and held for sale by the corporation were, therefore, subject to a first mortgage.

The homes were sold under contracts of deed under which instrument the title to the property remained in the corporation until the unpaid balance on the first mortgage was equal to the unpaid balance on the contract for deed. Under this arrangement, the corporation made the payments on the first mortgage to First Federal while the purchaser made payments on the contract for deed to the corporation, the latter payments including interest at a rate one-hald percent greater than the interest rate on the first mortgage. When the balances due on the first mortgage and the contract for deed were equal, Orange Lake Homes, Inc., would transfer the deed to the purchaser who would then assume the first mortgage.

Through experience, the corporation determined the contracts for deed were not marketable at their remaining face value*21 at the time of any default on the part of a purchaser. Therefore, if a purchaser defaulted on a contract for deed, the corporation found it best to refurbish and resell the house rather than sell the contract for deed at a discount. Due to the unprofitable results ensuing upon a purchaser's default, the corporation ceased selling homes by means of contracts for deed after 1960.

James' primary duties as corporate president were to personally guarantee repayment of the corporation's construction loans and to provide financing for and supervise all construction. Following a car-train collision in 1961, he was unable to continue to perform all these duties and thereafter functioned merely as a guarantor of the corporation's loans, for which function he was compensated by salary. In 1962 and 1963, James reported $39,310 and $26,470, respectively, as wages received from Orange Lake Homes, Inc.

The following is a list of loan transactions between the corporation and First Federal, all of which were secured by first mortgages as outlined above and all of which were executed by James, both in his capacity as president and in his individual capacity:

DateAmount of Loan
10/ 1/55$188,200
11/ 9/55196,200
4/25/575,300
1/ 6/596,600
6/ 8/597,600
9/ 3/597,200
11/18/596,800
11/ 3/614,700
11/15/618,000
11/16/619,600
10/15/62

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Related

Hirsch v. Commissioner
1971 T.C. Memo. 235 (U.S. Tax Court, 1971)

Cite This Page — Counsel Stack

Bluebook (online)
1970 T.C. Memo. 343, 29 T.C.M. 1661, 1970 Tax Ct. Memo LEXIS 17, Counsel Stack Legal Research, https://law.counselstack.com/opinion/rosati-v-commissioner-tax-1970.