Sutow v. Commissioner

1992 T.C. Memo. 473, 64 T.C.M. 537, 1992 Tax Ct. Memo LEXIS 495
CourtUnited States Tax Court
DecidedAugust 19, 1992
DocketDocket Nos. 20102-88, 20103-88, 20104-88
StatusUnpublished
Cited by1 cases

This text of 1992 T.C. Memo. 473 (Sutow 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.

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Sutow v. Commissioner, 1992 T.C. Memo. 473, 64 T.C.M. 537, 1992 Tax Ct. Memo LEXIS 495 (tax 1992).

Opinion

GLENN H. SUTOW AND JANICE S. SUTOW, ET AL., 1 Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Sutow v. Commissioner
Docket Nos. 20102-88, 20103-88, 20104-88
United States Tax Court
T.C. Memo 1992-473; 1992 Tax Ct. Memo LEXIS 495; 64 T.C.M. (CCH) 537;
August 19, 1992, Filed

*495 Decisions will be entered for respondent.

For Petitioners: Osami Maruyama.
For Respondent: Steven M. Roth.
GOFFE

GOFFE

MEMORANDUM FINDINGS OF FACT AND OPINION

GOFFE, Judge: The Commissioner determined deficiencies in the Federal income taxes of petitioners as follows:

Petitioner(s)YearDeficiency
Glenn H. and Janice S.1980$ 5,399
Sutow19838,106
Alan A. Patel19832,841
Paul F. Gill19805,855
19837,854

The issues for decision are: (1) Whether GSP Investments, a partnership in which three of petitioners were partners, satisfied the noncorporate lessor requirements of section 46(e)(3)(B), 2 so as to qualify for an investment tax credit on certain equipment purchased in 1983; and (2) whether the depreciation deduction allowable to the partnership for 1983 must be computed, under section 168(f)(5), based upon a 1-month short taxable year.

*496 FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts and accompanying exhibits are incorporated by this reference. At the time their respective petitions were filed, Glenn H. and Janice S. Sutow resided in San Dimas, California, Alan A. Patel resided in Glendale, California, and Paul F. Gill resided in Arcadia, California. References hereinafter to "Sutow" are to Glenn H. Sutow.

Sometime in 1983, Gill, Sutow, and Patel decided to join together in a partnership called GSP Investments (GSP). In May, they opened a money market account in the name of GSP by depositing $ 40,000 at Home Savings of America. By June 20, 1983, interest of $ 302.47 had been credited to this account. They also applied to the IRS in May for an employer identification number. They received notification of their assigned number, in the name of GSP, in August of 1983. The profit and loss sharing percentages in GSP, and capital contributions, were 45 percent for both Gill and Sutow and 10 percent for Patel.

1040 Computer Services, Inc. (Computer Services), had been incorporated in 1980. At least through 1987, Sutow, Gill, and Patel were shareholders who together*497 held 83 percent of the stock. Sutow was the president and a director throughout this period. Gill was also an officer and a director.

Computer Services assisted accountants in the preparation of income tax returns. The accountants first filled out and returned input forms provided by Computer Services. After keypunching, the raw data was entered into an on-site mainframe computer, almost all of the programming for which was developed and maintained by a separate corporation called Tax of Louisiana. The mainframe computer performed calculations and otherwise manipulated the data, ultimately producing a magnetic output tape. Computer Services then combined the output tape with printing equipment to print completed income tax returns, which were sent back to the accountants.

On October 4, 1983, GSP agreed to purchase from Xerox Corp. (Xerox) a Model 8700/58 laser printer and an off-line tape control module (together sometimes referred to as the 8700) for a combined cost of $ 241,750 before freight, taxes, and trade-in allowances. 3 By the terms of the purchase agreement, the equipment was to be installed at Computer Services beginning on December 6, 1983. Xerox provided an *498 express 90-day warranty, during which time it supplied free parts and service.

On the same day that GSP and Xerox entered into the purchase agreement, they also entered into a Full Service Maintenance Agreement (FSMA) to begin on March 12, 1984, when the 90-day warranty was due to expire. The agreed cost of the maintenance service to GSP was $ 1,965 per month in 1984 and 1985, plus a per-page "click charge" of $ .0038 (during early 1984) or $ .0032 (thereafter). 4 Under the FSMA, service was available 24 hours a day on weekdays, but GSP also contracted for Extended Service Coverage (ESC), which expanded the 24-hour service to weekends.

Incorporated*499 by reference in the purchase agreement and the FSMA was a letter from Gill to Xerox, which stated in part:

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1992 T.C. Memo. 473, 64 T.C.M. 537, 1992 Tax Ct. Memo LEXIS 495, Counsel Stack Legal Research, https://law.counselstack.com/opinion/sutow-v-commissioner-tax-1992.