Thatcher v. Commissioner

61 T.C. No. 4, 61 T.C. 28, 1973 U.S. Tax Ct. LEXIS 42
CourtUnited States Tax Court
DecidedOctober 4, 1973
DocketDocket Nos. 5391-69, 5392-69, 5393-69
StatusPublished
Cited by11 cases

This text of 61 T.C. No. 4 (Thatcher 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
Thatcher v. Commissioner, 61 T.C. No. 4, 61 T.C. 28, 1973 U.S. Tax Ct. LEXIS 42 (tax 1973).

Opinions

Simpson, Judge:

In these consolidated cases, the respondent determined the following deficiencies in the petitioners’ Federal income taxes:

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Concessions having been made by the parties, the issues remaining for decision are: (1) Whether the liabilities transferred to a corporation as a part of an exchange under section 351 of the Internal Revenue Code of 19542 exceeded the basis of the assets acquired by such corporation in such exchange so that section 357(c) is applicable; (2) what is the basis of the stock acquired by the transferor in such exchange; and (3) whether the respondent properly disallowed deductions to the corporation for salary payments made to Karl D. Teeples.

FINDIN GS OF FACT 3

Wilford E. and Estella M. Thatcher are husband and wife who, at the time of filing the petition 'herein, resided in Portland, Oreg. They filed joint United States individual income tax returns for the taxable years 1963 and 1964, on the cash receipts and disbursements method of accounting, with the district director of internal revenue, Portland, Oreg.

Karl I), and Iva A. Teeples are husband ’and wife who, at the time of filing the petition herein, resided in Portland, Oreg. They filed a joint United States individual income tax return for the taxable year 1963, on the cash receipts and disbursements method of accounting, with the district director of internal revenue at Portland, Oreg.

Teeples & Thatcher Contractors, Inc., is an Oregon corporation having its principal place of business at the time of filing its petition herein at 8850 S.E. Otty Road, Portland, Oreg. Its United States corporation income tax returns for the period February 1, 1963, to December 31, 1963, and the taxable year 1964, prepared on the cash receipts and disbursements method of accounting, were filed with the district director of internal revenue at Portland, Oreg.

On March 31,1956, Wilford E. Thatcher and Karl D. Teeples (hereinafter sometimes referred to as Thatcher and Teeples, respectively), formed a general partnership to engage in business as general contractors under the name of Teeples & Thatcher Co. (hereinafter sometimes referred to as the partnership). On August 1, 1960, the partnership purchased farm and cattle ranching properties.

From August 1,1960, until February 1,1963, the partnership owned and operated the contracting business and the farm and cattle ranching business. From February 1,1963, until June 30,1963, the partnership operated the farm and cattle ranching enterprise as its sole business activity. The partnership maintained its books and filed its partnership returns on the cash receipts and disbursements method of accounting.

In January 1963, Teeples & Thatcher Contractors, Inc. (hereinafter referred to as the corporation), was organized. On February 1,1963, the partnership transferred to the corporation all of the assets and liabilities of the general contracting business in exchange for all 500 shares of the authorized stock of the corporation and the assumption by the corporation of the liabilities of the partnership.

The assets transferred to the corporation as of February 1, 1963, included the following:

Current assets
Cash:
First National Bank_■_$16, 191. 28
Cash advances — employees_1 250. 00
Loan receivable_ 100, 000. 00
Prepaid items:
Insurance_ $1, 957. 23
Interest_ 375. 00
Plan deposits_ 146. 00
Reserve for taxes and insurance_ 1, 795. 13 4, 273. 36
Total current assets_120,714.64
Fixed assets
Land_'_ 2, 819. 00
Buüding_$47, 105. 99
Less: Depreciation_ 7, 325. 49 39, 780. 50
Office equipment_ 4, 896. 55
Less: Depreciation_ 3, 215. 38 1, 680. 17
Machinery and equipment. 221, 879. 18
Less: Depreciation_... 110,931.40 110,947.78
Neon sign_
391. 29
Less: Depreciation. 382. 15 9. 14
Automotive vehicles_ 67, 297. 70
Less: Depreciation_ 35, 184. 56 32, 113. 14
Cessna #310 Skyline_ 43, 379. 78
Less: Depreciation____ 27, 871. 82 15, 507. 96 200, 038. 69
Deferred expenses
Prepaid rent__ 2, 320. 00
Properties_ 325, 892. 33

The amounts of the liabilities assumed by the corporation as of February 1,1963, included the following:

Notes and mortgages payable
First National Bank_$256, 040. 52
Miscellaneous accrued payroll taxes_ 8,154. 00
Liabilities. 264,194. 52

In addition, as part of the same transaction, the partnership transferred to the corporation unrealized receivables amounting to $317,146.96, consisting of partially completed construction contracts, and the corporation assumed accounts payable amounting to $164,065.54, consisting of costs incurred on account of said contracts. The unrealized receivables and accounts payable taken over by the corporation had not, prior to the date of transfer, been reflected in the computation of income and expenditures by the partnership for purposes of taxation.

After February 1, 1963, the corporation continued in business as general contractor and, in the course thereof, during 1963 paid all of the accounts payable assumed by it, and deducted said expenditures as business expenses on its United States corporation income tax return for the taxable period February 1, 1963, to December 31, 1963. Additionally, the corporation, in computing its taxable income for this period, reported as gross income all cash receipts thereafter collected by it, including all amounts collected in respect to the partnership unrealized receivables transferred to the corporation by the partnership.

In May 1963, the partnership distributed 300 shares of stock of the corporation to Teeples and distributed 200 shares of this stock to Thatcher. In August 1963, the corporation redeemed the 300 shares of the corporation stock owned by Teeples for $42,500.

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1997 T.C. Memo. 507 (U.S. Tax Court, 1997)
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1984 T.C. Memo. 394 (U.S. Tax Court, 1984)
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68 T.C. 223 (U.S. Tax Court, 1977)
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Hempt Bros., Inc. v. United States
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Thatcher v. Commissioner
61 T.C. No. 4 (U.S. Tax Court, 1973)

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Bluebook (online)
61 T.C. No. 4, 61 T.C. 28, 1973 U.S. Tax Ct. LEXIS 42, Counsel Stack Legal Research, https://law.counselstack.com/opinion/thatcher-v-commissioner-tax-1973.