Shea Homes, Inc. v. Commissioner

142 T.C. No. 3, 142 T.C. 60, 2014 U.S. Tax Ct. LEXIS 4
CourtUnited States Tax Court
DecidedFebruary 12, 2014
DocketDocket Nos. 29271-09, 1400-10, 1401-10.
StatusPublished
Cited by9 cases

This text of 142 T.C. No. 3 (Shea Homes, Inc. 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
Shea Homes, Inc. v. Commissioner, 142 T.C. No. 3, 142 T.C. 60, 2014 U.S. Tax Ct. LEXIS 4 (tax 2014).

Opinion

Wherry, Judge:

These consolidated cases are before the Court on a petition for redetermination of deficiencies in income tax respondent determined for petitioner Shea Homes, Inc., and Subsidiaries’ 2004 and 2005 tax years; a petition for review of notices of final partnership administrative adjustment respondent issued for the 2004, 2005, and 2006 tax years of Shea Homes, LP; and a petition for review of notices of final partnership administrative adjustment respondent issued for the 2004 and 2005 tax years of Vistancia, LLC.

The ultimate issue for decision in these cases is whether Shea Homes, Inc., and Subsidiaries, Shea Homes, LP, and Vistancia, LLC, properly reported income and loss from the sale of homes in their planned developments using the completed contract method of accounting provided for in section 460. 2 The resolution of this issue turns on the determination of whether the home sale contracts include the development amenities or are limited to the house and the lot on which it sits.

FINDINGS OF FACT

The parties’ stipulation of facts and the accompanying exhibits are incorporated herein by this reference. '

Petitioners

Petitioner in docket No. 29271-09, Shea Homes, Inc. (SHI), and Subsidiaries, is an affiliated group of corporations with the common parent, SHI, organized under the laws of Delaware. At all relevant times SHI maintained its principal offices in Walnut, California. SHI used the accrual method as its overall method of accounting for the years at issue.

The partnership in docket No. 1400-10, Shea Homes, Limited Partnership (SHLP), is a limited partnership organized under the laws of California. J F Shea, LP, f.k.a. J F Shea, LLC (JFLP), is the tax matters partner of SHLP. 3 At all relevant times SHLP maintained its principal offices in Walnut, California. SHLP used the accrual method as its overall method of accounting for the years at issue.

The partnership in docket No. 1401-10, Vistancia, LLC (Vistancia), is a limited liability company organized under the laws of Delaware. Shea Homes Southwest, Inc. (SHSI), is the tax matters partner of Vistancia. At all relevant times Vistancia maintained its principal offices in Scottsdale, Arizona. Vistancia used the accrual method as its overall method of accounting for the years at issue.

During the tax years at issue, SHI, SHLP, and Vistancia deferred revenue, costs of sales, and income from the contracted-for sales of homes that closed in escrow as follows:

2002 2003 2004 2005 2006

SHI:

Revenue $81,066,693 $122,237,525

Cost of

sales 64,005,169 80,638,808

Income 9,260,993 17,061,524 41,598,717

Vistancia:

Revenue 92,348,246 310,218,513

sales 66,561,918 212,621,241

Income 8,835,716 25,786,328 97,597,272

SHLP:

Revenue 289,761,283 563,962,237 944,999,695 $956,921,373

sales 235,477,059 417,368,568 678,173,038 739,981,843

Income 1 $182,000 54,284,224 146,593,669 266,826,659 216,939,529

For the tax years at issue, SHI, SHLP, and Vistancia deferred some income from the sales of homes in the tax years the contracts for those sales closed in escrow and then recognized part of that income for Federal income tax purposes in following years as follows:

Year Deferred Year Amount

deferred income recognized recognized

SHI 2003 $9,260,993 2007 $9,260,993

2004 17,061,524 2007 17,061,524

2005 41,598,717 2007 41,598,717

Vistancia 2003 8,835,716 2009 8,835,716

2004 25,786,328 2009 25,786,328

2005 1 97,597,272 2009 97,597,272

SHLP 2002 3,149,537 2003 2,967,537

2003 2 54,466,226 2004 35,127,818

2005 18,234,951

2006 1,103,457

2004 3 146,593,669 2005 40,817,288

2006 101,577,422

2007 4,198,958

2005 266,826,659 2006 60,556,813

2007 48,350,567

2008 33,374,188

2009 21,215,992

2006 216,939,529 2007 32,896,005

2008 64,557,454

2009 49,310,872

2010 39,173,387

Deficiencies and Adjustments to Income

Respondent determined the following deficiencies with respect to the Federal income tax of SHI:

Additional amended amount Year Deficiency

$5,971,533 $3,241,348 2004

14,559,551 2005

The additional amended amount in the above table represents the amount respondent asserted in an amendment to his answer. Respondent asserts that this additional tax due amount is necessary under section 481(a) to prevent its permanent exclusion from Federal income taxation because of respondent’s change in SHI’s method of accounting.

Respondent also proposed the following adjustments to partnership income with respect to SHLP and Vistancia:

Adjustments to Year partnership income items Additional amended amounts

SHLP 2003 $54,284,226 $182,000

2004 111,465,850

2005 266,826,659

2006 216,939,529

Vistancia 2004 25,786,328 8,835,716

2005 97,597,272

Again, the additional amended amounts of taxable income are the amounts respondent alleges, by way of amended answer, are necessary under section 481(a). We also note that the partnership adjustments to the Federal taxable income of SHLP and Vistancia would have ultimately resulted in additional taxable income to the partners and may have resulted in significant additional tax due at the partner level.

Respondent calculated the above amounts by including in income amounts SHI, SHLP, and Vistancia deferred using the completed contract method of accounting as reported on schedules attached to their tax returns and as supported by their underlying work papers. These amounts do not reflect various computational, correlative adjustments.

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Cite This Page — Counsel Stack

Bluebook (online)
142 T.C. No. 3, 142 T.C. 60, 2014 U.S. Tax Ct. LEXIS 4, Counsel Stack Legal Research, https://law.counselstack.com/opinion/shea-homes-inc-v-commissioner-tax-2014.