Russell v. Commissioner

1991 T.C. Memo. 269, 61 T.C.M. 2909, 1991 Tax Ct. Memo LEXIS 312
CourtUnited States Tax Court
DecidedJune 12, 1991
DocketDocket No. 27660-87
StatusUnpublished

This text of 1991 T.C. Memo. 269 (Russell 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
Russell v. Commissioner, 1991 T.C. Memo. 269, 61 T.C.M. 2909, 1991 Tax Ct. Memo LEXIS 312 (tax 1991).

Opinion

JAMES N. RUSSELL AND MARILYN B. RUSSELL, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Russell v. Commissioner
Docket No. 27660-87
United States Tax Court
T.C. Memo 1991-269; 1991 Tax Ct. Memo LEXIS 312; 61 T.C.M. (CCH) 2909; T.C.M. (RIA) 91269;
June 12, 1991, Filed

*312 Decision will be entered for the respondent.

Held: The term of the leases of gas cylinders owned by petitioners was indefinite, and thus for purposes of section 46(e)(3)(B) the term was not "less than 50 percent of the useful life of the property." Hauptli v. Commissioner, T.C. Memo 1988-518, revd. and remanded 902 F.2d 1505 (10th Cir. 1990), T.C. Memo 1991-72 (on remand), controlling.

Thomas J. Kennedy, for the petitioners.
Dale P. Kensinger, for the respondent.
WHITAKER, Judge.

WHITAKER

MEMORANDUM FINDINGS OF FACT AND OPINION

Respondent determined a deficiency in petitioners' Federal income tax liability for the calendar year 1983 in the amount of $ 2,842. The sole issue for decision is whether petitioners are entitled to an investment tax credit under section 46(e)(3)(B) 1 in connection with the purchase during 1983 of compressed gas cylinders for lease to unrelated parties. More specifically, as applied to this case, we must decide whether the terms of the leases entered into are less than one-half of the useful life of the property.

*313 FINDINGS OF FACT

Some of the facts have been stipulated, and they are so found. This case is related to the investment at issue in Hauptli v. Commissioner, T.C. Memo 1988-518, revd. and remanded 902 F.2d 1505 (10th Cir. 1990), T.C. Memo 1991-72 (on remand), wherein we found on remand that lease terms identical in all material respects to those at issue herein were indefinite for purposes of section 46(e)(3)(B) and thus that the taxpayers there did not qualify for the investment tax credit. The facts in our Hauptli opinions, and the record in that proceeding, are hereby incorporated by this reference to the extent pertinent herein. Petitioners, who are husband and wife, resided in Northfield, Illinois, when their petition was filed.

Prior to and during 1983, Brown Welding Supply, Inc. (Brown Welding), promoted investments to a number of individuals by means of which the investors could purchase compressed gas cylinders from manufacturers and, pursuant to agreements with Brown Welding for the management and leasing of the cylinders, lease the cylinders to third parties. Petitioner James N. Russell became involved in one such*314 investment. On March 21, 1983, he entered into an agreement with Brown Welding whereby he retained Brown Welding to assist in the purchase, repair, maintenance, valving, shipping, and renting of cylinders. In April 1983 petitioner, through Brown Welding, purchased 1,500 compressed gas cylinders from Chesterfield Cylinder Company, Inc. (Chesterfield), for a total amount of $ 212,750. The purchase was financed by petitioner's payment of 10 percent in cash, with the remainder payable in installments that totaled $ 2,766 per month, pursuant to three security agreements between petitioner and Chesterfield. Petitioner's obligations under the security agreements were satisfied in full on April 20, 1987, and July 31, 1987. On September 22, 1982, 2 petitioner entered into an agreement to rent the cylinders to Coulter Welding Supply, Inc. (Coulter), and on October 1, 1982, petitioner entered into a similar rental agreement with Greene Welding Supply, Inc. (Greene). Coulter and Greene were unrelated parties dealing at arm's length with petitioner through Brown Welding. Coulter and Greene are each engaged in the welding supply business, and their major business categories are: (a) The*315 sale of welding and cutting equipment, industrial tools and products, and electrodes and supplies (48 percent of revenues); (b) the sale of industrial, medical, and specialty gases (31 percent of revenues); and (c) the rental of compressed gas cylinders (17 percent of revenues). The remaining 12 percent of revenues is derived from delivery charges.

Under the rental agreements with Coulter and Greene, petitioner agreed to rent compressed gas cylinders in exchange for per cylinder rental fees that totaled $ 2,645 per month, subject to cost of living adjustments. 3 At no time could the rental exceed 70 percent of the rental charged by a company related to Union Carbide, which was*316 a dominant supplier of cylinders and the gases contained therein at the time. Petitioner was to pay 25 percent of the rental payments he received to Brown Welding. The lessees had options to purchase any or all of the cylinders at then-current prices adjusted in relation to the number of months the lessees had made payments under the leases. With regard to the length of their terms, the rental agreements provided in pertinent part:

2.

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76 T.C. 867 (U.S. Tax Court, 1981)
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Bluebook (online)
1991 T.C. Memo. 269, 61 T.C.M. 2909, 1991 Tax Ct. Memo LEXIS 312, Counsel Stack Legal Research, https://law.counselstack.com/opinion/russell-v-commissioner-tax-1991.