Schoof v. Commissioner

110 T.C. No. 1, 110 T.C. 1, 1998 U.S. Tax Ct. LEXIS 1, 21 Employee Benefits Cas. (BNA) 2773
CourtUnited States Tax Court
DecidedJanuary 12, 1998
DocketTax Ct. Dkt. No. 4265-9; Docket Nos. 6210-96, 6394-96, 6617-96, 6761-96, 7632-96, 9362-96, 9490-96, 15341-96, 15342-96, 17606-96, 17607-96.
StatusPublished
Cited by54 cases

This text of 110 T.C. No. 1 (Schoof 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
Schoof v. Commissioner, 110 T.C. No. 1, 110 T.C. 1, 1998 U.S. Tax Ct. LEXIS 1, 21 Employee Benefits Cas. (BNA) 2773 (tax 1998).

Opinion

Jacobs, Judge:

Respondent determined deficiencies in petitioners’ 1991 Federal income tax as follows:

Docket No. Petitioner(s) Deficiency
4265-96 Gordon J. and Bonnie L. Schoof $24,605
6210-96 Lyman K. and Judith Kennedy 4,112
6394-96 Melvin L. and Gail H. Rush 8,706
6617-96 Alice M. Johnson1 7,397
6761-96 Robert J. and Bette Barraclough 10,764
7632-96 William N. and Joan E. Hughes 128,225
9362-96 William W. and Joan E. Agnew 46,533
9490-96 Joe O. and Daurine M. Baker 3,002
15341-96 Joseph P. and Genice Spetz 8,724
15342-96 Robert C. and Mary D. Borman 16,462
17606-96 Nurit Haramgaal 11,405
17607-96 John S. Husmann and Elinor C. MacKinnon 4,606

Each of these 12 consolidated cases involves the following transactions: (a) A distribution from an individual retirement plan, (b) an attempted tax-free rollover contribution of that distribution to a newly established putative individual retirement account trust, and (c) a purchase of a unit(s) (or fraction thereof) in a bus stop shelter program. The issue for decision is whether the rollover qualifies for tax-free treatment. Resolution of this issue depends in part upon whether the trustee of the putative individual retirement account trust is an eligible trustee.

Unless otherwise indicated, all section references are to the Internal Revenue Code in effect for the year in issue, and all Rule references are to the Tax Court Rules of Practice and Procedure.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts and attached exhibits are incorporated herein by this reference.

At the time the petitions were filed, the following petitioners resided in California: Gordon J. and Bonnie L. Schoof; Lyman K. and Judith Kennedy; Alice M. Johnson; William N. and Joan E. Hughes; Joseph P. and Genice Spetz; Robert C. and Mary D. Borman; Nurit Haramgaal; and John S. Husmann and Elinor C. MacKinnon. Melvin L. and Gail H. Rush resided in Colorado; Robert J. and Bette Barraclough resided in Texas; William W. and Joan E. Agnew resided in Massachusetts; and Joe O. and Daurine M. Baker resided in Nebraska.

Bus Stop Shelter Investments

In 1984, Jean Claude LeRoyer founded Metro Display Advertising, Inc. (mda), doing business as Bustop Shelters of California, Inc.2 MDA manufactured, installed, and sold shelters which were situated at bus stops to protect riders from inclement weather while they waited for their bus. The shelters were constructed of aluminum and safety tempered glass or lexan; the shelters’ components were modular in design to make replacement inexpensive and fast. The shelters were mounted in concrete and lit at night. Each shelter contained space behind the glass or lexan to place advertisements, and MDA generated revenue by leasing the advertising display space on the shelters.

Between 1984 and 1992, MDA offered investments in bus stop shelters (hereinafter referred to as the bus stop shelter program).3 Each bus stop shelter was referred to as a bus stop shelter unit. Through the bus stop shelter program, investors entered into a purchase agreement with MDA pursuant to which the investor acquired a bus stop shelter unit for $10,000. Upon the purchase of the bus stop shelter unit, the investor had the option to either lease the bus stop shelter to MDA or independently operate and maintain the shelter.

If the investor chose^to lease the bus stop shelter to MDA, the investor was required to enter into two agreements: An equipment lease agreement and a maintenance agreement. Pursuant to the terms of these agreements, MDA agreed to: (1) Pay the investor $200 per month (less $30 per month for maintenance costs); (2) maintain, operate, and assemble the shelter; and (3) maintain insurance for the shelter.

Upon the expiration of the agreements, MDA agreed (pursuant to a buyback agreement) that it would repurchase the bus stop shelter from the investor for $10,000 or its fair market value, whichever was higher.

FAC Individual Retirement Account

Donald L. Thomson was one of several individuals who actively sold bus stop shelter units as part of MDA’s bus stop shelter program. Mr. Thomson was a financial planner and accountant who did business as Financial & Accounting Consultants, Inc. (FAC). Despite its name, FAC was a sole proprietorship and not a corporation.

During the late 1980’s, Mr. Thomson sought approval from the Internal Revenue Service (IRS) to become a trustee of an individual retirement account (IRA) trust that ultimately would make an investment in MDA’s bus stop shelter program (the FAC IRA).

Mr. Thomson prepared a FAC IRA disclosure statement which was delivered to all prospective investors in the FAC IRA. The disclosure statement stated:

The Trust is established with the intent that it qualify as an “Individual Retirement Account” under Section 408(a) of the Code, and the provisions hereof shall be construed in accordance with such intent. * * *
The Trust was last approved as an acceptable form of prototype trust under Section 408(a) of the Internal Revenue Code by the National Office of the Internal Revenue Service (IRS) in Opinion Letter Serial No. B111447b dated March 27, 1987.

Upon opening the FAC IRA, the investor executed an IRA adoption agreement. The adoption agreement authorized FAC to invest the IRA contributions in MDA’s bus stop shelter program and to open a custodial account at the El Dorado Bank in Newport Beach, California, to collect the rental income generated from the lease agreements entered into with MDA.

Mr. Thomson executed a Form 56, Notice Concerning Fiduciary Relationship, with respect to each investor in the FAC IRA. Both Mr. Thomson and each investor in the FAC IRA executed a Form 5305-A, Individual Retirement Custodial Account, assigning the IRA contributions to the custodial account.

Petitioners’ Investments in the FAC IRA

All petitioners in this case caused distributions to be made out of existing qualified IRA’s (and in one instance an existing qualified IRA and a pension plan4) for the purpose of rolling over the distribution into the FAC IRA. The distributions and contributions into the FAC IRA were as follows:

Petitioner Distribution from IRA/ pension plan Date Contribution to FAC IRA Date
Gordon J. Schoof $62,151.00 3,579.77 12/5/91 2/7/91 $65,000 2/7/91
Bonnie L. Schoof 7,397.69 10,709.06 8/16/91 8/26/91 20,000 9/4/91
Lyman K.

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Cite This Page — Counsel Stack

Bluebook (online)
110 T.C. No. 1, 110 T.C. 1, 1998 U.S. Tax Ct. LEXIS 1, 21 Employee Benefits Cas. (BNA) 2773, Counsel Stack Legal Research, https://law.counselstack.com/opinion/schoof-v-commissioner-tax-1998.