Theodore v. Commissioner

38 T.C. 1011, 1962 U.S. Tax Ct. LEXIS 66
CourtUnited States Tax Court
DecidedSeptember 28, 1962
DocketDocket Nos. 78341, 78342, 78966, 85610, 85613, 85614
StatusPublished
Cited by31 cases

This text of 38 T.C. 1011 (Theodore 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
Theodore v. Commissioner, 38 T.C. 1011, 1962 U.S. Tax Ct. LEXIS 66 (tax 1962).

Opinion

Withey, Judge:

The respondent has determined deficiencies in the income tax of the petitioners as follows for the indicated years:

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Issues presented by the pleadings are tbe correctness of the respondent’s action:

In the Case of Peter Theodore.

In determining (1) that net income of National Mutual Casualty Company in the amounts of $34,948.33, $40,583.08, $40,657.13, and $40,633.50 for the years 1953, 1954, 1955, and 1957, respectively, was taxable to petitioner for the respective years, or (2) in the alternative, that of the amounts, $98,412.50, $114,296, $114,438, and $114,438, paid in 1953, 1954, 1955, and 1957 to National Mutual Casualty Company as insurance on taxicabs and service cars owned by petitioner, the amounts of $20,441.04, $52,780.62, $41,217.61, and $5,487.55, respectively, were excessive and did not constitute deductions allowable as ordinary and necessary business expenses for the respective years, (3) that payments made by National Mutual Casualty Company to the petitioner in 1953 and 1954 in the amounts of $50,000 and $12,000, respectively, constituted taxable dividends to petitioner for the respective years, (4) that deductions of $500 taken in the petitioner’s income tax returns for each of the years 1954 and 1955 for travel and entertainment were not allowable, (5) that during 1955 petitioner received unreported rentals of $8,166.48 from Theodore & Theodore, Inc., and (6) that during 1954, 1955, and 1957 the petitioner received unreported interest in the amounts of $383.69, $915.03, and $824, respectively.

In the Case of Theodore <& Theodore, Inc.

In determining (1) that net income of National Mutual Casualty Company in the amounts of $3,305.92 and $3,821.97 for 1953 and 1955, respectively, was taxable to petitioner for such years, or (2) in the alternative, that of the amounts of $9,310.62 and $10,764 paid by petitioner during 1953 and 1955, respectively, to National Mutual Casualty Company as insurance on taxicabs and service cars, the amounts of $7,574.76 and $7,270.47, respectively, were excessive and did not constitute deductions allowable as ordinary and necessary business expenses for the respective years, (3) that a payment of $11,190 in 1957 made to National Mutual for insurance on taxicabs and service cars owned by petitioner was excessive in the amount of $7,572.51, (4) that a portion of the amounts deducted by petitioner in its income tax returns for 1953, 1955, and 1957 for depreciation of improvements on leased real properties was not deductible, and (5) that $364.95 of a deduction taken for 1957 for contributions was not allowable.

In the Oase of National Mutual Casualty Comfany.

In determining (1) that for the years 1953, 1954, 1955, and 1957 the petitioner was not taxable as a mutual insurance company but taxable as an insurance company other than life or mutual, and (2) that assessments of the deficiencies determined against petitioner for 1953, 1954, and 1955 were not barred by the expiration of the applicable statutory periods of limitations.

FINDINGS OF FACT.

Some of the facts have been stipulated and are found as stipulated.

Peter Theodore, sometimes hereinafter referred to as Peter, filed his Federal income tax returns for 1953, 1954, 1955, and 1957 with the district director of internal revenue in Detroit, Michigan.

Theodore & Theodore, Inc., sometimes hereinafter referred to as Theodore Corporation, is a Michigan corporation organized on March 6, 1947, and has its principal place of business in Detroit, Michigan. It filed its Federal income tax returns for 1953, 1955, and 1957 with the district director in that city.

National Mutual Casualty Company, sometimes hereinafter referred to as National Mutual, is an insurance corporation organized, operated under, and complying with the laws of the State of Michigan and the rules and regulations of the Michigan insurance commissioner and has its principal place of business in Detroit, Michigan. It filed its Federal income tax returns for 1953, 1954, 1955, and 1957 with the district director in Detroit.

Peter Theodore was born in Yugoslavia and came to the United States in 1913. At first he worked as a laborer in Chicago, Illinois, and in 1915 went to Detroit where he was employed in a factory. Later he drove a taxicab in Detroit and in 1926 purchased his first taxicab which he drove in Detroit. Thereafter he began purchasing additional cabs. About 1935 or 1936 Cyril Theodore and Teddy Theodore, brother and nephew, respectively, of Peter, became associated with him as partners in the conduct of the taxicab business and operated under the name of Theodore & Theodore. Throughout the existence of the partnership Cyril Theodore engaged in the maintenance or repairing of taxicabs. Theodore Corporation upon its formation in 1947 took over the assets and business of the partnership.

In 1951 Peter Theodore, individually owned the Yellow Cab taxicab operation in Pontiac, Michigan, and the Yellow Cab taxicab operation in Jackson, Michigan. In addition he was the principal stockholder in Bay City Taxicab Company which operated in Bay City, Michigan. In 1953 the assets employed in and the business of the foregoing operations were taken over by Peter Theodore, Inc., of which Peter was the sole stockholder. Thereafter and through 1957 that corporation continued the conduct of taxicab operations in the foregoing cities.

The purpose for the formation of Theodore Corporation as stated in the corporation’s articles of incorporation was to own, lease, rent out, and operate taxicabs and other means of motor vehicle transportation for hire; to own and operate garages and gasoline stations; and to do other things necessary in the operation of a taxicab business or business of operating motor vehicles for hire.

Theodore Corporation began operations with a paid-in capital of $217,000 and an outstanding capital stock of 21,700 shares of common stock of a par value of $10 each. At the time of beginning operations or shortly afterwards the stock of the corporation was owned as follows:

Shares
Cyril Theodore_9,499
Teddy Theodore_9,700
Peter Theodore_2, 501

The foregoing stockholders together with Catherine Mazey comprised the corporation’s first board of directors.

The first officers of Theodore Corporation were as follows :

Peter Theodore, president and treasurer.
Cyril Theodore, vice president.
Teddy Theodore, secretary.
Paul E. Cringle, assistant secretary.

In order to operate a taxicab in the City of Detroit, Michigan, it is first necessary to obtain what is known as a “bond plate.” The bond plate initially is issued by the City of Detroit through its police department. There is a ceiling on the total number of bond plates that can be issued.

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Cite This Page — Counsel Stack

Bluebook (online)
38 T.C. 1011, 1962 U.S. Tax Ct. LEXIS 66, Counsel Stack Legal Research, https://law.counselstack.com/opinion/theodore-v-commissioner-tax-1962.