Stoner v. United States

313 F. Supp. 1383, 26 A.F.T.R.2d (RIA) 5195, 1970 U.S. Dist. LEXIS 11131
CourtDistrict Court, N.D. Illinois
DecidedJune 29, 1970
DocketNos. 68 C 1032, 1031, 1027, 1026, 1029, 1030 and 1028
StatusPublished

This text of 313 F. Supp. 1383 (Stoner v. United States) is published on Counsel Stack Legal Research, covering District Court, N.D. Illinois primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Stoner v. United States, 313 F. Supp. 1383, 26 A.F.T.R.2d (RIA) 5195, 1970 U.S. Dist. LEXIS 11131 (N.D. Ill. 1970).

Opinion

FINDINGS OF FACT AND CONCLUSIONS OF LAW and JUDGMENT ORDERS

PERRY, District Judge.

FINDINGS OF FACT

1. These are seven consolidated tax refund suits concerning the plaintiffs’ taxable years ending December 31, 1960.

2. Plaintiffs in these cases are former key employees of Stoner Investments Inc. and their wives, their estates, administrators, and executors. In each case, the wife (or her estate or administrator) is a party solely because she filed a joint income tax return with her husband. The term “plaintiffs” herein refers only to the seven former key employees.

3. Plaintiffs are seven of the eighteen former employees of Stoner Investments Inc. who purchased common stock of The Vendo Company" (herein “Vendo”) from Stoner Investments Inc. The Vendo stock was acquired by Stoner Investments Inc. from Vendo in exchange for Stoner Investments’ assets on June 1, 1959. Defendant contends that the transactions whereby plaintiffs purchased the Vendo stock occurred in and are taxable in the year 1960, that the transactions were bargain purchases, and that the bargain element was compensation for services giving rise to taxable income in the year 1960.

4. The Explanation of Adjustment in the statutory notice of deficiency received by Harold H. and Eileen C. Kellogg gave the following reason for the entire increase in their taxable income for 1960:

“(a) On January 11, 1960, you acquired 100 shares of common stock of The Vendo Company from Stoner Investments, Inc. for a total consideration of $1,400.00. It is determined that as a result of that transaction you realized taxable income in the amount of $2,600.00, the difference between the amount paid for said stock [1385]*1385and the amount of its fair market value at the time of acquisition. Accordingly, your taxable income for 1960 is increased in the amount of $2,600.00.”

The reasons given in the Explanations of Adjustments contained in the statutory notices of deficiency received by all other plaintiffs were identical, except for the number of shares and the dollar amounts.

Jurisdictional Facts

Harold H. and Eileen C. Kellogg v. United States (Civil Action No. 68 C 1026)

5. Plaintiffs are residents of the United States of America. On or about April 14, 1961, they filed a 1960 joint income tax return (Form 1040) with the Internal Revenue Service. On September 21, 1963, plaintiffs signed Form 872 extending the statute of limitations for 1960 until December 31, 1964. On December 15, 1964, a statutory notice of deficiency for 1960 was issued by the Internal Revenue Service. An assessment of an income tax deficiency of $642.34, together with interest of $155.-00, was made on April 23, 1965. Payment of the assessment occurred on May 3, 1965. Plaintiffs filed a Claim for Refund (Form 843) of the aforementioned assessed taxes and interest on February 16, 1967. This action was commenced more than six months after the Claim for Refund was filed.

Joseph E. and Barbara Lazzara v. United States (Civil Action No. 68 C 1027)

6. Plaintiffs reside in the United States of America. On or about April 13, 1961, they filed a 1960 joint income tax return (Form 1040) with the Internal Revenue Service. On September 10, 1963, they signed a Form 872 extending the statute of limitations for 1960 until December 31, 1964. On December 15, 1964, the Internal Revenue Service issued a statutory notice of deficiency for 1960, and on April 12, 1965, plaintiffs were assessed an income tax deficiency for 1960 of $4,060.38, together with interest of $891.74. Payment of the assessed taxes and interest occurred on April 22, 1965. Plaintiffs filed a Claim for Refund (Form 843) of the aforementioned assessed taxes and interest on February 16, 1967. This action was commenced more than six months after the Claim for Refund was filed.

Roderick W. and Myrtle Phillips v. United States (Civil Action No. 68 C 1028)

7. Plaintiffs are residents of the United States of America. On or about January 28, 1961, they filed a 1960 joint income tax return (Form 1040) with the Internal Revenue Service. On September 13, 1960, they filed a Form 872 extending the statute of limitations for 1960 until December 31, 1964. A statutory notice of deficiency for 1960 was issued on December 15, 1964, and on April 12, 1965, they were assessed an income tax deficiency for 1960 in the amount of $8,877.81, together with interest of $1,569.11. Payment of the assessment occurred on April 19, 1965. On February 16, 1967, plaintiffs filed a Claim for Refund (Form 843) of the aforementioned assessed taxes and interest. The instant action was commenced more than six months after the Claim for Refund was filed.

Estate of John R. Steivai-t, Deceased, Robert A. Buttrey, Administrator, and Estate of Nora H. Stewart, Deceased, Robert A. Buttrey, Executor v. United States (Civil Action No. 68 C 1029)

8. Plaintiffs are residents of the United States of America. On or about April 10, 1961, decedents John R. Stewart and Nora H. Stewart jointly filed a 1960 income tax return (Form 1040) with the Internal Revenue Service. On March 16, 1964, they signed a Form 872 extending the statute of limitations for 1960 until December 31, 1964. On December 15, 1964, the Internal Revenue [1386]*1386Service issued a statutory notice of deficiency for 1960, and on April 23, 1965, plaintiffs were assessed an income tax deficiency for 1960 of $2,158.50, together with interest of $520.88. Payment of the assessed taxes and interest occurred on May 3, 1965. Plaintiffs filed a Claim for Refund (Form 843) of the assessed taxes and interest on February 16, 1967. This action was commenced more than six months after the Claim for Refund was filed.

Estate of Glenn W. Brodin, Deceased, Irene Brodin, Executor, and Irene Brodin v. United States (Civil Action No. 68 C 1030)

9. Plaintiffs are residents of the United States of America. On or about January 27, 1961, decedent, Glenn Bro-din, and Irene Brodin filed a 1960 joint income tax return (Form 1040) with the Internal Revenue Service. On September 11, 1963, they signed a Form 872 extending the statute of limitations for 1960 until December 31, 1964. A statutory notice of deficiency for 1960 was issued on December 15, 1964, and on April 23, 1965, plaintiffs were assessed an income tax deficiency for 1960 in the amount of $1,485.00, together with interest of $358.35. Payment of the assessed taxes and interest was made on April 28, 1965. On February 16, 1967, plaintiffs filed a Claim for Refund (Form 843) of the aforementioned assessed taxes and interest which was disallowed on August 16, 1967.

Ray L. and Evelyn J. Stoner v. United States (Civil Action No. 68 C 1031)

10. Plaintiffs are residents of the United States of America. On or about April 15, 1961, they filed a 1960 joint income tax return (Form 1040) with the Internal Revenue Service. On September 12, 1963, they signed a Form 872 extending the statute of limitations for 1960 until December 31, 1964. On December 15, 1964, the Internal Revenue Service issued a statutory notice of deficiency for 1960, and on April 23, 1965, plaintiffs were assessed an income tax deficiency for 1960 in the amount of $3,594.56, together with interest of $867.42. Payment of the assessed income taxes and interest occurred on April 28, 1965.

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313 F. Supp. 1383, 26 A.F.T.R.2d (RIA) 5195, 1970 U.S. Dist. LEXIS 11131, Counsel Stack Legal Research, https://law.counselstack.com/opinion/stoner-v-united-states-ilnd-1970.