Schaeffer v. Commissioner

7 T.C.M. 657, 1948 Tax Ct. Memo LEXIS 95
United States Tax Court·Decided September 13, 1948·No. Docket No. 11814, 11815.·Unpublished

Opinion

Herman Schaeffer v. Commissioner. Morris Eisenberg v. Commissioner.
Schaeffer v. Commissioner
Docket No. 11814, 11815.
United States Tax Court
1948 Tax Ct. Memo LEXIS 95; 7 T.C.M. (CCH) 657; T.C.M. (RIA) 48181;
September 13, 1948
*95 Harry Shapiro, Esq., and David Shapiro, Esq., for the petitioners. William D. Harris, Esq., for the respondent.

OPPER

Memorandum Findings of Fact and Opinion

OPPER, Judge: These proceedings were brought for a redetermination of deficiencies in petitioners' income tax for the years 1943 and 1944, as follows:

Morris EisenbergHerman Schaeffer
1943$47,649.27$47,344.14
194429,887.2829,767.91

Petitioners challenge respondent's position that the income of Bailey's Furniture Co. (a partnership) for the years in question is taxable in equal shares to Eisenberg and Schaeffer.

The case was presented on a stipulation of facts and evidence adduced at the hearing.

Findings of Fact

The stipulated facts are hereby found accordingly.

Petitioners Morris Eisenberg and Herman Schaeffer reside in Philadelphia, Pennsylvania, and filed their Federal tax returns for 1943 and 1944 in Philadelphia with the collector of internal revenue for the first collection district of Pennsylvania.

On or about October 30, 1936, petitioners, as partners, commenced a retail installment furniture business in Philadelphia, which was operated under the trade name*96 of Bailey's Furniture Co. Prior to the establishment of Bailey's Furniture Co., petitioners had been in business together for about sixteen years in various types of retail trade.

Petitioner Schaeffer, sometime in 1930, opened four separate accounts with the Philadelphia Saving Fund Society supposedly for each of his four children, respectively, but in his own name as trustee. There were no written instruments of trust in connection with the deposit of these accounts. Between July 30, 1937, and April 18, 1939, all of the funds, totaling $24,371, were withdrawn by Schaeffer from these accounts and were used in the business of Bailey's Furniture Co.

Petitioner Eisenberg, in 1930 and 1931, opened five separate accounts, stated to be in trust for his children, but in his own name. Three of the accounts (one for each of his three children) were with The Philadelphia Saving Fund Society and two of the accounts were in the Western Saving Fund Society. On October 30, 1936, he withdrew various sums from these accounts, totaling $20,000, all of which was deposited in the bank account of Bailey's Furniture Co. Subsequently, additional sums, aggregating between $5,000 and $6,000, were withdrawn*97 from these accounts and used in the furniture business.

Eisenberg's first wife died at the birth of his eldest child, and his remaining children are the issue of a subsequent marriage.

On December 30, 1939, petitioners executed their first written partnership agreement. The agreement stated that its purpose was to reduce to writing an oral partnership agreement between Eisenberg and Schaeffer. The agreement provided for the creation of a partnership to conduct the retail furniture business and stated that the agreement was to continue for one year, to be renewed and continued annually unless either of the parties gave ninety days' notice of his intention to withdraw; that Eisenberg and Schaeffer would contribute all of the assets used by Bailey's Furniture Co.; that their respective capital investment would be considered as $60,000 each; that each of the parties would devote their full time to the business; that correct books of account would be kept to which each of the parties should have access; that on an annual accounting, distributions were to be made only when the parties determined and ordered the payment in writing; that the partnership bank account would be maintained*98 in the names of Eisenberg and Schaeffer, subject to check signed by either of them; that all policies relating to management and operation of the business were to be determined by unanimous approval; that Eisenberg and Schaeffer for the year 1940 should receive the sum of $7,800 as wages, to be paid from earnings, and not charged to their respective capital investments; that upon termination of the partnership there should be an equal distribution of assets and profits, and losses were to be similarly borne.

By written instruments dated January 2, 1940, Eisenberg created three separate irrevocable trusts for the benefit of his three children, Leon, Esther, and Libby, in which he named himself trustee, and to himself as trustee of each of the trusts there was transferred a percentage of his interest in the business of Bailey's Furniture Co., as follows:

Leon Eisenberg20 percent
Estelle Eisenberg15 percent
Libby Eisenberg15 percent

By written instruments dated January 2, 1940, Schaeffer created four separate irrevocable trusts for the benefit of his four children, Alfred, Harold, Toby, and Raymond, in which he named himself trustee, and to himself as trustee*99 of each of the trusts there was transferred a percentage of his interest in the business of Bailey's Furniture Co., as follows:

Alfred Schaeffer14 perc

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Schaeffer v. Commissioner, 7 T.C.M. 657, 1948 Tax Ct. Memo LEXIS 95 (tax 1948).

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