STIVERS v. COMMISSIONER

1973 T.C. Memo. 244, 32 T.C.M. 1139, 1973 Tax Ct. Memo LEXIS 43
CourtUnited States Tax Court
DecidedOctober 31, 1973
DocketDocket Nos. 1108-69, 1261-69.
StatusUnpublished

This text of 1973 T.C. Memo. 244 (STIVERS 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
STIVERS v. COMMISSIONER, 1973 T.C. Memo. 244, 32 T.C.M. 1139, 1973 Tax Ct. Memo LEXIS 43 (tax 1973).

Opinion

MORGAN A. STIVERS and VIRGINIA E. STIVERS, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
HOWARD C. STIVERS and AMY STIVERS, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
STIVERS v. COMMISSIONER
Docket Nos. 1108-69, 1261-69.
United States Tax Court
T.C. Memo 1973-244; 1973 Tax Ct. Memo LEXIS 43; 32 T.C.M. (CCH) 1139; T.C.M. (RIA) 73244;
October 31, 1973, Filed
Erwin Lampe, for the petitioners.
Jonathan A. Brod, for the respondent.

TIETJENS

MEMORANDUM FINDINGS OF FACT AND OPINION

TIETJENS, Judge: *These consolidated proceedings contest deficiencies for 1961 and 1963 determined as follows: 2

19611963
Morgan A. and Virginia E. Stivers$3,855.62$69,301.01
Howard C. and Amy Stivers164.7962,480.06

Certain concessions have been made by both parties.

The questions remaining for decision are: (1) Whether the gains and losses from certain real estate transactions were the gains and losses from property held primarily for sale to customers in the ordinary course of the business of Morgan A. Stivers and Howard C. Stivers; (2) Whether Morgan A. Stivers*45 and Howard C. Stivers were in the business of selling real estate so as to incur liability for self-employment taxes; and (3) Whether advances made to and for the benefit of Jean Stivers created a bona fide debt, and, if so, whether the debt became wholly worthless and deductible in 1961, 1962, or 1963.

FINDINGS OF FACT

The stipulated facts are so found and are incorporated herein by this reference.

Petitioners Morgan A. Stivers (hereafter Morgan) and Virginia E. Stivers, husband and wife, resided in Long Beach, California, during the years in issue and at the time they filed their petition in this proceeding. On June 3, 1963, 3 they filed their 1961 joint Federal income tax return, and, on January 3, 1964, they filed an amended 1961 return. In 1964, they filed a timely 1963 joint return. They filed all these returns with the district director of internal revenue at Los Angeles, California.

Petitioners Howard C. Stivers (hereafter Howard) and Amy Stivers, husband and wife, resided in Long Beach, California, during the years in issue and at the time they filed their petition in this proceeding. In 1964, they timely filed their 1963 joint Federal income tax return*46 with the district director of internal revenue at Los Angeles, California.

Issues 1 and 2

Howard and Morgan were born in 1899 and 1902, respectively, on a farm in Kentucky. They moved to California in 1919 to work for an older brother, Glenn Stivers (hereafter Glenn), who had established himself as a carpenter-contractor. During the late 1920's, the three, along with a fourth brother, Archie Stivers (hereafter Archie), formed a partnership, Stivers Brothers. Archie died in 1947, and the three brothers reorganized Stivers Brothers in 1948. Glenn withdrew as an active partner in Stivers Brothers in 1954, but, since his withdrawal 4 was not completed until 1955, profits of Stivers Brothers for the 1955 taxable year 1 were divided equally.

In 1954, Glenn withdrew partnership funds to purchase building sites in Santa Ana. He set up a business in Tustin, California. The business was operated as the "Glenn and Morgan Stivers" partnership, and*47 its returns indicated that one-half of the profits went to Glenn and his wife and the other half went to Morgan and his wife. However, Morgan and his wife reported only one-quarter of the profits on their Federal income tax returns, and Howard and his wife reported one-quarter on their returns.

Glenn became ill and unable to carry on his separate operation of building commercial offices and shops. He started selling the Santa Ana land in 1956 and sold the last lot on October 13, 1960. The assets of the "Glenn and Morgan Stivers" operation were finally distributed on October 31, 1960. Petitioners' share of the profits was shown under sales of property, "Santa Ana Lots (Glenn and 5 Morgan Stivers)," on the return for the 1961 taxable year of the Morgan and Howard Stivers partnership (hereafter the Partnership).

Petitioners formed the Partnership on September 1, 1955, when they withdrew Morgan Hall from Stivers Brothers. Purchased by Stivers Brothers in 1945, Morgan Hall was located in Long Beach and housed dining rooms, banquet halls, a bar, a theater, and other facilities.

For the 1956, 1957, 1958, 1959, and 1960 taxable years, petitioners reported the oepration of*48 Morgan Hall and the purchase and sale of two parcels of land in the Partnership's Federal tax returns, but they continued to report all of their other activities as partners on Stivers Brothers' returns. After August 31, 1960, all of their activities as partners were reported by the Partnership.

In the operation of petitioners' business, Howard was the field man overseeing all construction while Morgan handled the office and the financing.

Morgan and his wife owned and operated two apartment buildings for their separate accounts. These two buildings had been acquired at cost from Stivers Brothers, which had 6 built them in 1953. Gross rental income was $34,499.01 in 1961 and $36,951.65 in 1963.

In 1949, Howard and Morgan bought a cattle ranch, the O'Neals Ranch, in Central California. This has been continued as an active cattle operation.

On April 30, 1956, petitioners formed a closed corporation, "Stivers Brothers, Limited," with a paid in capital of $32,000.

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Bluebook (online)
1973 T.C. Memo. 244, 32 T.C.M. 1139, 1973 Tax Ct. Memo LEXIS 43, Counsel Stack Legal Research, https://law.counselstack.com/opinion/stivers-v-commissioner-tax-1973.