Schneider v. Commissioner

11 T.C.M. 1232, 1952 Tax Ct. Memo LEXIS 3
CourtUnited States Tax Court
DecidedDecember 31, 1952
DocketDocket No. 30785.
StatusUnpublished

This text of 11 T.C.M. 1232 (Schneider 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
Schneider v. Commissioner, 11 T.C.M. 1232, 1952 Tax Ct. Memo LEXIS 3 (tax 1952).

Opinion

Clara M. Schneider v. Commissioner.
Schneider v. Commissioner
Docket No. 30785.
United States Tax Court
1952 Tax Ct. Memo LEXIS 3; 11 T.C.M. (CCH) 1232; T.C.M. (RIA) 53005;
December 31, 1952
C. W. H. Bangs, Esq., for the petitioner. Elmer E. Lyon, Esq., for the respondent.

TURNER

Memorandum Findings of Fact and Opinion

TURNER, Judge: Respondent determined against petitioner deficiencies in income tax and additions for fraud under section 293 (b) as follows:

Taxable YearIncome TaxPenalty
1944$1,093.57$ 546.79
19451,630.78817.71
19461,699.77849.89
19485,367.822,683.91
By amended answer respondent seeks*4 an increase in taxes and penalty for the taxable year 1948 in the respective amounts of $961.44 and $480.72. Petitioner contests both the income tax deficiencies and the penalties.

Findings of Fact

Petitioner is an individual and resides at Fort Wayne, Indiana. She filed her income tax returns for the years involved with the collector of internal revenue for the district of Indiana. Petitioner was a masseuse and during the period between 1944 and 1949 was known as a naturopath-physician. She also maintained offices in the Stevens Building in Chicago, Illinois, from 1945 until sometime in 1950, making one trip each week to Chicago to treat patients referred to her from doctors in Chicago. In her application for rental of the offices she showed the business to be conducted as "osteopath" which word appeared on the front door of the offices.

Petitioner was married to Ross Arnold and they resided in Fort Wayne, Indiana. They had three children, Nelson, Hubert and Elizabeth. On or about November 14, 1928, petitioner and Arnold were divorced and petitioner was awarded the custody of Elizabeth who at that time was twelve years of age. The court ordered Arnold to pay petitioner $25 per*5 month for the support of Elizabeth. After the divorce petitioner returned to her former husband's home and kept house for him and the children for a number of months. Petitioner then became the housekeeper for Dr. Adam L. Schneider of Fort Wayne sometime in 1929. Dr. Schneider permitted petitioner to bring her daughter Elizabeth with her and he paid petitioner $10 per week for her work as housekeeper. In addition, Dr. Schneider gave petitioner money with which to buy groceries. He paid the utilities and other bills. She was permitted to charge certain items to Dr. Schneider's account. In 1933 or 1934 she bought ten shares of Lincoln Life Insurance Company stock at $40 a share. This was paid for out of her savings. About May 1935, Dr. Schneider deposited $2,000 in the Peoples Trust & Savings Company of Fort Wayne to the joint account of petitioner, whose name at that time was Clara Arnold, and her daughter, Elizabeth Arnold.

On August 8, 1935, petitioner and Dr. Schneider were married, after having executed an antenuptial agreement. The agreement provided inter alia that the doctor's residence at 1205 E. Lewis Street, Fort Wayne, would be conveyed by Dr. Schneider to petitioner, reserving*6 unto himself a life estate, and that Dr. Schneider would convey unto petitioner, after the solemnization of the intended marriage, fifty-five shares of common stock of the Fort Wayne Corrugated Paper Company of the approximate value of $5,000. The following provision also appears in the agreement:

"In consideration of the conveyance and transfer to her of said real and personal property the party of the second part agrees that she will accept the same in lieu of any and all rights and claims of dower, inheritance, and descent in and to the real property of the first party now owned, or hereafter acquired or in lieu of any and all rights or claims to a distributive share of his personal estate now owned, or hereafter acquired and in lieu of any and all other claims which may arise and accrue to her by reason of said marriage; the party of the second part hereby releases, remises, and relinquishes to the party of the first part, her heirs, successors, administrators and assigns forever, all the interest, title and claim therein set out."

Concurrently with the execution of the antenuptial agreement and in accordance with its provisions, the Lewis Street property was conveyed to petitioner. *7 Before conveying to petitioner the fifty-five shares of the Fort Wayne Corrugated Paper Company stock Dr. Schneider was killed in an automobile accident, November 5, 1935. The executor of the estate of Dr. Schneider, by order of the court dated August 26, 1936, delivered to petitioner the fifty-five shares of the stock. At that time, the stock was appraised at $5,500.

Dr. Schneider left an estate of approximately $72,000 and at the date of his death he had $184 cash in a safe and on his person, a checking account in Peoples Trust & Savings Company in the amount of $1,550.20 and a savings account in the same bank in the amount of $23,532.42. His heirs consisted of an adult daughter, Ruth I. Schneider, and four granddaughters, children of Lawrence B. Schneider, deceased son.

After the doctor's death petitioner began to give massages and baths, and also did some sewing.

During the summer of 1936 petitioner took a four-months course in physiotherapy in Chicago, Illinois. In 1937 she took a course of training at Battle Creek College, Battle Creek, Michigan. She took the summer course starting in June and enrolled for the fall term but in November she dropped out of the college. Elizabeth*8

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Related

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19 B.T.A. 518 (Board of Tax Appeals, 1930)
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32 B.T.A. 1093 (Board of Tax Appeals, 1935)
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33 B.T.A. 105 (Board of Tax Appeals, 1935)
Dorsey v. Commissioner
33 B.T.A. 295 (Board of Tax Appeals, 1935)
Rogers v. Commissioner
38 B.T.A. 16 (Board of Tax Appeals, 1938)

Cite This Page — Counsel Stack

Bluebook (online)
11 T.C.M. 1232, 1952 Tax Ct. Memo LEXIS 3, Counsel Stack Legal Research, https://law.counselstack.com/opinion/schneider-v-commissioner-tax-1952.