Texas Trade School v. Commissioner

30 T.C. 642, 1958 U.S. Tax Ct. LEXIS 159
CourtUnited States Tax Court
DecidedJune 18, 1958
DocketDocket No. 59723
StatusPublished
Cited by17 cases

This text of 30 T.C. 642 (Texas Trade School 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
Texas Trade School v. Commissioner, 30 T.C. 642, 1958 U.S. Tax Ct. LEXIS 159 (tax 1958).

Opinion

The respondent determined deficiencies in income tax of petitioner for the fiscal years ending May 31, 1947, and May 31, 1948, in the amounts of $302.53 and $2,007.14, respectively.

The sole issue is whether the petitioner is entitled to exemption from tax for the taxable years under section 101 (6) of the Internal Revenue Code of 1939.

FINDINGS OF FACT.

Some of the facts have been stipulated and they are incorporated herein by reference.

Petitioner is a corporation chartered by the secretary of state of Texas on February 27, 1946. Its officers during the major portion of the period from its incorporation through 1953 were as follows:

H. C. Brown: President
Ross A. Peterson: Vice president and director of training
Allen Melton: Vice president and counsel
O. J. Jennings: Secretary-treasurer

The officers constituted the executive committee of petitioner and they also were 4 of the 9 members of its board of directors.

The corporate charter of petitioner was amended, under authority of the secretary of state of Texas, November 4, 1946, whereby paragraph 7 was added to the charter, providing as follows:

In case of the dissolution or liquidation of the Corporation, no money, property or thing of value shall be returned to any person, or persons, who may have made a contribution to the Corporation, nor to any member of the Board of Directors of said Corporation, but the Board of Directors of the Corporation, upon dissolution or liquidation, shall automatically thereby and thereon become trustees of all assets of the Corporation, and as trustees, charged with the responsibility and trust of making careful and discreet distribution of all assets to the extent that such assets shall be distributed only for the advancement of the purposes of the Corporation as stated herein.

Petitioner did not file incomé tax returns for the fiscal years ending May 31, 1947, and May 31, 1948, and did not pay income taxes for those years.

On April 18, 1946, N. E. Busby and P. L. Porter sold to C. J. Jennings, Ross A. Peterson, H. 0. Brown, Walter K. Gowdey, and Allen Melton (hereinafter referred to as the Jennings group) property located at 1316 West Commerce Street, Dallas, Texas, having a frontage of 225 feet on West Commerce Street and a depth of 167 feet, for $30,000, of which $5,000 was paid in cash and a note given for $25,000. Title to a one-fifth undivided interest was acquired by Jennings, Peterson, and Brown, a one-tenth undivided interest by Gowdey, and a three-tenths undivided interest by Allen Melton. The purchasers executed a deed of trust dated April 18, 1946, to Louis J. Hexter, trustee, to secure the payment of the $25,000 purchase money note.

The fair market value of the property acquired by the Jennings group from Busby and Porter on April 18, 1946, was $30,000.

In 1946 the property known as 1316 West Commerce Street was located just outside the city limits of Dallas, Texas. It had all city utilities, except sewage, using septic tanks instead.

Petitioner leased the premises at 1316 West Commerce Street from the Jennings group for a period of 5 years beginning April 2, 1946, and ending April 1, 1951, and the rental under that lease for such period was $600 per month. The monthly rental was set by the Jennings group at a figure sufficient to cover the note payments, insurance, and taxes. At the time of the lease there were two buildings on the property, a 1-story brick office building containing approximately 1,800 square feet and a sheet metal shop building with concrete floor containing approximately 4,000 square feet. The office building had no basement and was about 5 years old.

Out of the original ground area acquired by the Jennings group measuring • 225 feet of frontage and running back between parallel lines to a depth of 167 feet, the lease excepted therefrom (1) a tract with 75 feet of frontage running back to a depth of 167 feet between parallel lines, and (2) a tract measuring 80 feet along West Commerce Street and 40 feet in depth located in the northeast corner of the property.

Petitioner has operated a school for trade training on the leased premises continuously since incorporation and lease of the property, and is still engaged in this activity.

The original lease provided that after the period of 30 months had elapsed from the date of the agreement, if the rent of $600 per month was “an untoward burden” upon the lessee, the lessors, at the request of the lessee, would renegotiate the amount of the monthly rent, and if they mutually agreed upon a figure of less than $600 that figure would be binding upon both parties.

In November 1946, two real estate appraisers then employed by the Oak Cliff Bank and Trust Company made appraisals of the property at 1316 West Commerce Street. These appraisals included the following:

Lot 246 x ■167
Brick office building 20' x 50'
Sheet iron building 40' x 100'
Three prefabricated units 16' x 16' each

One appraiser estimated the total value of this property to be $30,524.50 and the other estimated it to be $37,500. The three prefabricated units had been placed on the property by petitioner at a cost to it of $4,432.96.

On May 23, 1947, the Jennings group purchased from Rosa Lee Meadows two lots immediately adjacent to the property at 1316 West Commerce Street, which had a frontage of 150 feet on that street. A frame building with 3 or 4 rooms was situated on the Meadows property. This building had been occupied as a residence prior to May 23, 1947. The Jennings group paid approximately $4,500 or $4,700 for the Meadows property.

As of May 31, 1948, petitioner had constructed at its own expense the following buildings and leasehold improvements upon the premises owned by the Jennings group:

Property Cost
Horology building_$4, 531.73
Radio building_10, 810. 57
Three prefabricated buildings_ 4, 432.96
Leasehold improvements generally_ 2, 696. 81
Leasehold improvements to upholstery building_ 1, 700. 00
24,172. 07

These buildings were constructed and improvements made after the beginning of the lease. The insurance on these buildings was paid by the petitioner.

The horology building was constructed in January 1947. It was a 1-story frame building containing approximately 1,150 square feet.

The radio building was constructed in 1948, partly on the premises leased by petitioner and partly on the Meadows tract owned by the Jennings group but never leased to petitioner. It was a 2-story frame building containing approximately 5,400 square feet.

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Texas Trade School v. Commissioner
30 T.C. 642 (U.S. Tax Court, 1958)

Cite This Page — Counsel Stack

Bluebook (online)
30 T.C. 642, 1958 U.S. Tax Ct. LEXIS 159, Counsel Stack Legal Research, https://law.counselstack.com/opinion/texas-trade-school-v-commissioner-tax-1958.