Sangers Home for Chronic Patients v. Comm'r

72 T.C. 105, 1979 U.S. Tax Ct. LEXIS 140
CourtUnited States Tax Court
DecidedApril 11, 1979
DocketDocket Nos. 8984-74, 9110-74
StatusPublished
Cited by17 cases

This text of 72 T.C. 105 (Sangers Home for Chronic Patients v. Comm'r) 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
Sangers Home for Chronic Patients v. Comm'r, 72 T.C. 105, 1979 U.S. Tax Ct. LEXIS 140 (tax 1979).

Opinion

Dawson, Judge:

In these consolidated cases respondent determined the following deficiencies in the Federal income taxes of petitioners:

Petitioners Year Deficiency
Sangers Home for Chronic Patients, Inc. 1970 $10,675.91
Charles Ekblom and Elizabeth Sanger Ekblom . 1966 9,987.34
1967 32,544.34
1968 32,255.08
1969 43,494.06
1970 31,190.71
1971 19,991.09

Upon agreement of the parties the Court severed the issue of whether Sangers Home for Chronic Patients, Inc., actually conducted the nursing home business and reported the income therefrom on its Federal corporate income tax returns for the years in question, thus preventing it under the doctrine of equitable estoppel from asserting that the taxable income from the business should have been reported by Elizabeth Sanger Ekblom as an individual proprietor from 1966 to May 4, 1967, and then by a partnership, Sangers Nursing Home, from May 4, 1967 through 1971.

FINDINGS OF FACT

Some of the facts were stipulated and are found accordingly.

Sangers Home for Chronic Patients, Inc. (hereinafter referred to as petitioner), is a corporation whose principal place of business was located at 500 West 57th Street, New York, N. Y., at the time of filing its petition herein. Charles Ekblom and Elizabeth Sanger Ekblom (hereinafter referred to as Charles and Elizabeth), are husband and wife whose legal residence was 905 West End Avenue, New York City, when they filed their petition herein.

Sangers Home, Inc., was incorporated in 1936 pursuant to the stock corporation law of the State of New York. It filed United States Corporation Income Tax Returns for all taxable years of its existence from 1936 through 1976 which included income and losses from the operation of a nursing home.

Charles and Elizabeth filed joint Federal income tax returns for the years 1966 through 1971.

Elizabeth is the daughter of Robert Sanger, the founder of Sangers Home, Inc., who died in 1949.

Prior to 1949, Sangers Home, Inc., was owned three-ninths by Robert Sanger, two-ninths by Elizabeth, and four-ninths by a brother and sister of Elizabeth. In 1949, after Robert Sanger died, his three-ninths interest was bequeathed to his wife Elizabeth’s mother. The ownership of Sangers Home, Inc., did not change again until 1953 when Elizabeth became a seven-ninths owner and Charles became a two-ninths owner. From 1953 to the present the ownership of Sangers Home, Inc., has remained unchanged.

In May 1953, Sangers Home, Inc., purchased from Columbia University the land and building located at 500 West 57th Street, New York, N. Y., in which it had been operating its nursing home under a lease from Columbia University since 1945. The building and land are referred to herein as the nursing home building.

A proprietary nursing home business was conducted in the nursing home building from 1945 until August 4,1977, when the business was terminated. The principal function of such business was to provide nursing services, but it also provided other services such as rehabilitation, recreation, and social service.

The city of New York licensed proprietary nursing homes to operate in that city from 1936 until 1973. In 1973, the State of New York superseded the city of New York as the governing body which was authorized to license proprietary nursing homes in New York City.

Sangers Home, Inc., was licensed to operate the nursing home business by the city of New York from 1936 to October 1954 when the city of New York no longer allowed corporations to be licensed to operate proprietary nursing homes. After October 1954, only individuals could be licensed to operate proprietary nursing homes.

From October 1954 to May 5, 1967, Elizabeth was licensed by New York City to operate the nursing home business, although she has never reported for Federal, State, or city income tax purposes any income or loss from the nursing home business as a sole proprietor.

On October 13, 1955, Elizabeth filed a Certificate of Conducting Business Under the Name of Sangers Nursing Home with the County Clerk, New York County, as required by the city of New York before she could obtain a license to operate the nursing home business.

The only reason a nursing home license was obtained in the name of Elizabeth was to comply with the legal restrictions imposed by New York City which prevented the corporation, Sangers Home, Inc., from renewing its license. The nursing home business was not transferred to Elizabeth in 1954 as a result of her name being placed on the nursing home license.

One nursing home business in New York City had been forced to close when the single family member, in whose name the nursing home license was issued, became incompetent because of a stroke. The city of New York had refused to issue a new license to another family member unless substantial and costly improvements were made.

Charles decided that there should be a partnership between Elizabeth and Carole Eppinger (the daughter of Elizabeth and Charles, hereinafter referred to as Carole) and that Carole should become a colicensee with Elizabeth.

Charles was concerned about the continuity of the nursing home business and apparently believed that, if Elizabeth became incompetent, it would be easier for a colicensee, Carole, to renew an existing license rather than to have a new license issued by the city of New York.

Thereafter, from May 5, 1967, to August 4, 1977, Elizabeth and Carole were licensed individually to conduct the nursing home business under the name of Sangers Nursing Home, first by New York City, and then in 1973 by New York State.

On May 5, 1967, Elizabeth and Carole executed articles of copartnership in which they purportedly agreed to conduct the nursing home business as equal partners. These articles of copartnership were required to be filed with the Department of Health, city of New York, before a license could be issued in the name of both Elizabeth and Carole.

A Certificate of Partners Conducting Business Under the Name of Sangers Nursing Home was executed by Elizabeth and Carole on May 5, 1967. This certificate was required to be filed with the city of New York before a license could be issued in the names of both Elizabeth and Carole. Neither Carole nor Elizabeth has ever reported any income or loss for Federal, State, or city income tax purposes from the nursing home business as a partner.

No gift tax returns have been filed by Elizabeth transferring any part of the nursing home business to Carole.

As the nursing home administrator for Sangers Home, Inc., from 1953 until its closing, Charles was responsible for managing and supervising the operation of the nursing home. He was also the dominant force in the business and made most of the major decisions.

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Sangers Home for Chronic Patients v. Comm'r
72 T.C. 105 (U.S. Tax Court, 1979)

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Bluebook (online)
72 T.C. 105, 1979 U.S. Tax Ct. LEXIS 140, Counsel Stack Legal Research, https://law.counselstack.com/opinion/sangers-home-for-chronic-patients-v-commr-tax-1979.