Thielking v. Commissioner

1987 T.C. Memo. 201, 53 T.C.M. 618, 1987 Tax Ct. Memo LEXIS 197
CourtUnited States Tax Court
DecidedApril 14, 1987
DocketDocket No. 9418-83.
StatusUnpublished
Cited by7 cases

This text of 1987 T.C. Memo. 201 (Thielking 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
Thielking v. Commissioner, 1987 T.C. Memo. 201, 53 T.C.M. 618, 1987 Tax Ct. Memo LEXIS 197 (tax 1987).

Opinion

ARMIN F. AND GLORIA J. THIELKING, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Thielking v. Commissioner
Docket No. 9418-83.
United States Tax Court
T.C. Memo 1987-201; 1987 Tax Ct. Memo LEXIS 197; 53 T.C.M. (CCH) 618; T.C.M. (RIA) 87201;
April 14, 1987.
Paul M. Thielking, for the petitioners.
Rogelio A. Villageliu, for the respondent.

WELLS

MEMORANDUM OPINION

WELLS, Judge *: Respondent determined deficiencies in petitioner Armin F. Thielking's Federal income taxes for taxable years 1978 and 1979 in the amounts of $1,612.40 and $9,279.20, respectively. Respondent determined a deficiency in both petitioners' Federal income taxes for the taxable year 1980 in the amount of $2,462.00. After concessions, the issues to be decided are: (1) whether commissions paid in connection with lease agreements should be amortized over the term of each respective lease or currently expensed; and (2) whether petitioners, as noncorporate lessors, are eligible to claim an investment tax credit under section 381 for certain leased property.

*199 This case was submitted fully stipulated. The stipulation of facts and attached exhibits are incorporated herein by reference. The pertinent facts are summarized below.

Petitioners resided in Des Moines, Iowa, at the time their petition was filed. During the taxable year 1980, petitioners were married to each other and filed a joint Federal income tax return. At issue in this case are petitioner Armin F. Thielking's taxable years 1978 and 1979, and petitioners' taxable year 1980.

During the taxable years 1978, 1979, and 1980, petitioner Armin F. Thielking (hereinafter referred to as "petitioner" in the singular) leased certain property hereinafter described, 2 using either Thielking Leasing, Inc., (hereinafter referred to as "Thielking Leasing") or Z-King Leasing, Inc., (hereinafter referred to as "Z-King") as his broker. Petitioner, using the services of the brokers, purchased property to meet the specifications of the various lessees. Petitioner obtained loans from a third-party financial institution in order to purchase the property to be leased. As security for the loans, petitioner assigned each lease to the third-party financial institution with recourse. Petitioner*200 was also personally liable for the repayment of the loans. Advance lease payments were made by the lessees at the inception of the various leases and were used by petitioner to pay a commission to Thielking Leasing or to Z-King, pursuant to lease brokerage agreements, 3 for services rendered to that date. All other lease payments were made directly by the lessees to the third-party financial institution until the loans, including interest, were fully paid. Lease payments in excess of the principal and interest on the loans would inure to the benefit of petitioner.

*201 The property leased by petitioner during 1978 is set forth in Appendix A along with other data relating to that property. In addition to the commissions noted above, petitioner incurred and paid freight expenses of $200.00 and installation expenses of $564.00 with respect to the property set forth in Appendix A. Petitioner initially claimed a useful life of seven years on his individual income tax return for 1978 for each of the items of property set forth in Appendix A. Petitioner amended his Federal income tax return for 1978 by changing the estimated useful life of each of the items of property set forth in Appendix A from seven to ten years.

The property leased by petitioner during 1979 is set forth in Appendix B along with other data relating to that property.

The property leased by petitioner during 1980 is set forth in Appendix C along with other data relating to that property.

Appendix D sets forth a description of the property set forth in Appendices A, B, and C; the first 12 months income from the respective leases; the amount equal to 15 percent of such income; the commission paid at the inception of the respective leases; the respective lease terms; and the amount*202 of commission amortized for the first 12 months of each respective lease.

The amount paid as a commission to the broker at the inception of each respective lease was nonrefundable. Pursuant to each respective brokerage agreement, additional fees were payable by petitioner for services performed by the broker upon the sale or trade-in of the leased property. The advance lease payments made by each lessee at the inception of each respective lease have been included in petitioners' income in the year received.

The first issue for decision is whether these commissions may be deducted in the year paid or whether they must be amortized over each respective lease term.

Petitioners contend that the commissions paid at the inception of each respective lease for services already rendered constitute section 162 expenses and should be deductible in full in the year of payment. Additional compensation would be paid for additional services rendered in connection with each respective lease. In addition, petitioners claim that because the advance lease payments paid to petitioner by lessees were included in petitioners' income in the year paid, petitioners should be entitled to deduct the*203 commission expense paid from these advances in order to avoid a distortion of income.

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Cite This Page — Counsel Stack

Bluebook (online)
1987 T.C. Memo. 201, 53 T.C.M. 618, 1987 Tax Ct. Memo LEXIS 197, Counsel Stack Legal Research, https://law.counselstack.com/opinion/thielking-v-commissioner-tax-1987.