Skripak v. Commissioner

84 T.C. No. 22, 84 T.C. 285, 1985 U.S. Tax Ct. LEXIS 116
CourtUnited States Tax Court
DecidedFebruary 26, 1985
DocketDocket Nos. 745-79, 5914-79, 11391-79, 15040-79, 15667-79, 16214-79, 16215-79, 17479-79, 6101-80, 6178-80, 8009-80
StatusPublished
Cited by108 cases

This text of 84 T.C. No. 22 (Skripak 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
Skripak v. Commissioner, 84 T.C. No. 22, 84 T.C. 285, 1985 U.S. Tax Ct. LEXIS 116 (tax 1985).

Opinion

Parker, Judge:

Respondent has determined the following deficiencies in these petitioners’ Federal income taxes:

Taxpayers) Docket No. Year(s) Deficiency
Richard A. Skripak 745-79 1975 $4,480.30
and Renee K. Skripak (increased to $6,820 by amendment to answer)
William Frank McCall, Jr. 5914-79 1975 4,857.00 (increased to $9,846 by amendment to answer)
Edgar A. Neely, Jr., 11391-79 1975 14,560.54
and Ruth N. Neely 1976 16,675.36
Estate of Archer B. Glenn, Jr. 15040-79 1975 42,040.37
Thomas S. Wallace and Martha Wallace 15667-79 1975 16,208.10
J.W. Lynn, Jr., and Nancy C. Lynn 16214-79 1976 7,911.00
Matt B. Russ and Frances R. Russ 16215-79 1975 4,963.93
H.C. McDermid and Mary Jo McDermid 17479-79 1975 1976 11,498.00 14,785.00
1977 3,130.00
Lovic A. Brooks, Jr., 6101-80 1975 15,074.00
and Carrie Brooks 1976 7,290.00
W. Henry Maddox 6178-80 1975 12,371.65
and Helen G. Maddox 1976 12,764.74
C.H. Smith 8009-80 1975 23,509.50
1976 23,140.00

These consolidated cases involve taxpayers who participated in a charitable contributions tax shelter program through which they purportedly purchased scholarly reprint books, held them for slightly more than 6 months, and then contributed them to various small rural public libraries. These taxpayers deducted charitable contributions in amounts of approximately 3 times what they purportedly paid for the books. The issues for decision are whether these taxpayers are entitled to deductions for charitable contributions under section 170,2 and, if so, the amounts of the allowable deductions.3

FINDINGS OF FACT

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

Petitioner William Frank McCall, Jr. (McCall), docket No. 5914-79, resided in Moultrie, Georgia, at the time he filed his petition in this case. Petitioners Edgar A. Neely, Jr. (Neely), and Ruth N. Neely (collectively the Neelys, docket No. 11391-79), J.W. Lynn, Jr. (Lynn), and Nancy C. Lynn (collectively the Lynns, docket No. 16214-79), and W. Henry Maddox (Maddox) and Helen G. Maddox (collectively the Maddoxes, docket No. 6178-80) all resided in Atlanta, Georgia, at the time they filed their respective petitions in these cases. Petitioners H.C. McDermid (McDermid) and Mary Jo McDer-mid (collectively the McDermids, docket No. 17479-79) resided in Fort Pierce, Florida, at the time they filed their petition in this case. The Neelys, Lynns, McDermids, and Maddoxes filed their respective joint Federal income tax returns for their years involved, and McCall filed his 1975 individual Federal income tax return, with the Internal Revenue Service Center at Chamblee, Georgia. All of these petitioners used the cash receipts and disbursements method of accounting. When they filed their respective petitions, the other petitioners had their residences at the following locations:

Petitioners Docket No. Residence
Richard A. Skripak and Renee K. Skripak 745-79 Fort Pierce, FL
Estate of Archer B. Glenn, Jr., Deceased, Wachovia 15040-79 Winston-Salem, NC
Bank & Trust Co., N.A., Executor4 Thomas S. Wallace and Martha Wallace 15667-79 Charlotte, NC
Matt B. Russ and Frances R. Russ 16215-79 Mendham, NJ
Lovic A. Brooks, Jr., and Carrie Brooks 6101-80 Atlanta, GA
C.H. Smith 8009-80 Oliver Springs, TN

The cases of McCall, the Lynns, the McDermids, and the Maddoxes have been selected by the parties and tried as the lead cases in these consolidated cases, with the remaining petitioners agreeing to be bound by our determinations in the lead cases.5 Unless otherwise indicated, the term "petitioners” shall hereinafter refer collectively to McCall, Neely, Lynn, McDermid, and Maddox.

Background of Reprint Publishing and BFL’s Sale to Embassy

During the 1960’s, the Federal Government began providing large amounts of funds to finance expanding library construction and book acquisitions at American colleges and universities. This created a demand for library books; this demand and a source of funds helped to create a new industry of book publishers, called "reprint publishers.” Modern printing technology permitted these publishers to print economically smaller quantities of books (50 to 150 copies) than book publishers had previously been able to print. These reprint publishers generally selected standard academic works that new and expanding college and university libraries would need to acquire. Generally, the reprint publishers selected titles that were "out of print,” meaning that they were no longer available from the original publishers, and older titles that were in the public domain and no longer protected by copyrights. This use of public domain materials meant that the reprint publishers did not have to pay author royalties, and obviated the need to obtain licenses or assignments of existing copyrights. These reprint publishers would do just that— reprint by photo offset or other new techniques titles previously printed by other publishers. These reprint publishers would then sell their reprint books (reprints) to various libraries, primarily college and university libraries, and large public library systems in populous urban areas. During the peak of the library reprint publishing industry, there were more than 300 reprint publishers.

Beginning about 1970, Federal funds were drastically cut, sharply reducing the demand for the academic or scholarly works printed and sold by reprint publishers. Many reprint publishers had not anticipated this cutoff of Federal funds and had printed many more books than the diminished market demanded. Federal funding for academic libraries remained low throughout the 1970’s. As a consequence, many reprint publishers went out of business and many others merged with or were acquired by other publishers. By 1981, there remained only a few reprint publishers printing and selling these academic or "scholarly” reprints.

Books For Libraries or BFL Communications, Inc. (BFL), was a book publisher and book manufacturer. BFL published both reprint books and original works (trade publications or trade books). Approximately 70 percent of the reprint titles BFL published were in the public domain, and the remaining 30 percent were published under license by copyright holders on a royalty basis.

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Bluebook (online)
84 T.C. No. 22, 84 T.C. 285, 1985 U.S. Tax Ct. LEXIS 116, Counsel Stack Legal Research, https://law.counselstack.com/opinion/skripak-v-commissioner-tax-1985.