Sankary v. Commissioner

1982 T.C. Memo. 387, 44 T.C.M. 414, 1982 Tax Ct. Memo LEXIS 361
CourtUnited States Tax Court
DecidedJuly 12, 1982
DocketDocket No. 2496-80.
StatusUnpublished

This text of 1982 T.C. Memo. 387 (Sankary 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
Sankary v. Commissioner, 1982 T.C. Memo. 387, 44 T.C.M. 414, 1982 Tax Ct. Memo LEXIS 361 (tax 1982).

Opinion

MORRIS SANKARY and WANDA SANKARY, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Sankary v. Commissioner
Docket No. 2496-80.
United States Tax Court
T.C. Memo 1982-387; 1982 Tax Ct. Memo LEXIS 361; 44 T.C.M. (CCH) 414; T.C.M. (RIA) 82387;
July 12, 1982.
Morris Sankary, pro se.
Karen Nicholson Sommers, for the respondent.

FAY

MEMORANDUM FINDINGS OF FACT AND OPINION

FAY, Judge: Respondent determined deficiencies in and an addition to petitioners' Federal income tax as follows:

Sec. 6653(a) 1
YearDeficiencyAddition to Tax
1970$421.02
19714,785.35
197243,806.00$2,190.30
197331,028.00
197425,030.80
*362

After concessions, the issues are (1) whether certain payments were loans or contributions to capital; (2) if the payments were loans, whether they were made in connection with a trade or business; (3) in what year certain stock or debts became worthless; and (4) whether the failure to report a gain in 1972 was due to negligence. 2

FINDINGS OF FACT

Some of the facts are stipulated and found accordingly.

Petitioners, Morris Sankary and Wanda Sankary, resided in San Diego, Calif., when they filed their petition herein.

Morris Sankary (hereinafter petitioner) is a lawyer in private practice. His law practice consists largely of work connected with low-cost housing development. In late 1968, petitioner was approached by Thomas Sutherland and Michael Ryan concerning a business then known as*363 Granada Plastics Co. At that time, Sutherland and Ryan were Granada employees. Sutherland and Ryan had two requests of petitioner: (1) to represent them concerning an emerging business deal with Diner's Club, Inc. 3 and (2) to solicit help in exercising an option they had to acquire Granada from its owner.

In 1968, Granada was a sole proprietorship owned by Harold J. Kurt. Its primary business was the manufacture of expanded polystyrene panels, and it had developed a prefabricated housing system which used those panels. Sometime in 1968, Kurt suffered a stroke and granted four of his employees, including Sutherland and Ryan, an option to acquire Granada. If unexercised, the option was to expire March 10, 1969. In October 1968, Sutherland, Ryan, and Douglas E. Leston formed Continental Components Corporation, a California corporation, intending the corporation to exercise the option. 4*364

When formed, Continental Components Corporation (hereinafter CCC) was authorized to issue 75,000 one dollar par shares of stock. However, no shares were initially issued and, for awhile, CCC was a mere shell. Sutherland and Ryan did not have the money necessary for CCC to exercise the option. Thus, as reflected in CCC's November 1, 1968, minutes, they agreed to "immediately commence action in an attempt to secure an investor or investors with the sum of Seventy-five thousand dollars ($75,000) to be loaned to the corporation * * *." Further, those minutes state: "It is contemplated that the money so secured will be exchanged for capitol [sic] stock * * * if the same is approved by the Commissioner at a later date." 5

In March 1969, petitioner transferred $1,000 to CCC and received CCC shares. No other CCC shares*365 were ever issued. The parties agree petitioner was CCC's sole shareholder from March 1969 until CCC ceased operation. Sometime in 1969, petitioner advanced $100,000 to CCC. 6 Apparently, sometime in March 1969, CCC exercised the option and took over Granada's business. 7 In November 1969, petitioner guaranteed a $100,000 loan to CCC from Southern California First National Bank. The proceeds of that loan were put in a time certificate of deposit and pledged as collateral for the loan. Petitioner intended such "paper transaction" to evidence an intent that the original $100,000 advanced by him to CCC was a loan. The record does not reveal whether the time certificate of deposit was in petitioner's name or in CCC's name.

*366 Initially, Sutherland served as CCC's president, and petitioner was CCC's secretary-treasurer and counsel. Sutherland died sometime after petitioner became sole shareholder of CCC. After Sutherland died, petitioner served as CCC's president. 8 While CCC's polystyrene panels drew a great deal of attention and CCC showed great promise of financial success, CCC never thrived in actuality. A series of attractive deals either fell through or failed to live up to expectations. 9 However, at least through mid-1970, it appeared CCC was in a position eventually to do very well.

*367

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Bluebook (online)
1982 T.C. Memo. 387, 44 T.C.M. 414, 1982 Tax Ct. Memo LEXIS 361, Counsel Stack Legal Research, https://law.counselstack.com/opinion/sankary-v-commissioner-tax-1982.