Sierra Club v. Commissioner

1999 T.C. Memo. 86, 77 T.C.M. 1569, 1999 Tax Ct. Memo LEXIS 101
CourtUnited States Tax Court
DecidedMarch 23, 1999
DocketNo. 8650-91
StatusUnpublished
Cited by1 cases

This text of 1999 T.C. Memo. 86 (Sierra Club 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
Sierra Club v. Commissioner, 1999 T.C. Memo. 86, 77 T.C.M. 1569, 1999 Tax Ct. Memo LEXIS 101 (tax 1999).

Opinion

SIERRA CLUB, INC., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent *
Sierra Club v. Commissioner
No. 8650-91
United States Tax Court
T.C. Memo 1999-86; 1999 Tax Ct. Memo LEXIS 101; 77 T.C.M. (CCH) 1569; T.C.M. (RIA) 99086;
March 23, 1999, Filed

*101 Decision will be entered for petitioner.

     On remand from the Court of Appeals for the Ninth Circuit.

   Sierra Club, Inc. v. Commissioner, 86 F.3d 1526 (9th Cir. 1996),

   affg. in part, revg. in part and remanding 103 T.C. 307 (1994)

   and T.C. Memo 1993-199. The Court of Appeals remanded for

   findings of fact whether P's income from the affinity card

   program, which was the subject of our report at *102 103 T.C. 307,

   constituted "royalties" within the meaning of sec. 512(b)(2).

   HELD, the receipts constitute "royalties" within the meaning of

   sec. 512(b)(2).

Robert L. Dietz, and B. Holly Schadler, for petitioner.
Stephen M. Miller, Diane I. Crosby, Judith Cavell Cohen, William
A. Goss, *103 and Donald W. Williamson, Jr., for respondent.
HALPERN, JUDGE.

HALPERN

SUPPLEMENTAL MEMORANDUM FINDINGS OF FACT AND OPINION

[1] HALPERN, JUDGE: This case is before the Court on remand from the Court of Appeals for the Ninth Circuit (the Ninth Circuit). Sierra Club, Inc. v. Commissioner, 86 F.3d 1526 (9th Cir. 1996) (Sierra Club (1996)), affg. in part, revg. in part and remanding 103 T.C. 307 (1994) and T.C. Memo 1993-199. The Ninth Circuit reversed our order granting petitioner's motion for partial summary judgment. That order was issued pursuant to our report in Sierra Club v. Commissioner, 103 T.C. 307 (1994) (Sierra Club (1994)) revd. and remanded 86 F.3d 1526 (9th Cir. 1996). In Sierra Club (1994), we concluded that petitioner's receipts from the affinity credit card program there described did not constitute "unrelated business taxable income" within the meaning of section 512(a)(1) because they constituted "royalties" within the meaning of section 512(b)(2). The Ninth Circuit determined that we had improperly resolved disputed factual issues in*104 favor of petitioner, and it remanded for findings of fact whether the receipts in question constitute "royalties" within the meaning of section 512(b)(2).

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

[3] We shall not here repeat the preliminaries concerning respondent's determinations and other matters set forth in our prior reports.

FINDINGS OF FACT

INTRODUCTION

[4] Some of the facts have been stipulated and are so found. The stipulations of facts filed by the parties, with attached exhibits, are incorporated herein by this reference.

AFFINITY CARD PROGRAMS

[5] An affinity credit card program is an arrangement by which an organization agrees with a credit card issuer that the organization's name and logo may appear on a credit card and, thus, be used to market the card to an affinity group associated with the organization. The organization receives a small percentage of total amounts charged on the card.

HISTORY OF THE AFFINITY CARD PROGRAM

[6] In 1980, petitioner was approached by Edward Shelton, president of Shelton Financial*105

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Cite This Page — Counsel Stack

Bluebook (online)
1999 T.C. Memo. 86, 77 T.C.M. 1569, 1999 Tax Ct. Memo LEXIS 101, Counsel Stack Legal Research, https://law.counselstack.com/opinion/sierra-club-v-commissioner-tax-1999.