Touchett v. Commissioner

1982 T.C. Memo. 285, 43 T.C.M. 1462, 1982 Tax Ct. Memo LEXIS 459
CourtUnited States Tax Court
DecidedMay 24, 1982
DocketDocket No. 4077-80.
StatusUnpublished

This text of 1982 T.C. Memo. 285 (Touchett 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
Touchett v. Commissioner, 1982 T.C. Memo. 285, 43 T.C.M. 1462, 1982 Tax Ct. Memo LEXIS 459 (tax 1982).

Opinion

JOHN L. TOUCHETT AND JOSEPHINE A. TOUCHETT, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Touchett v. Commissioner
Docket No. 4077-80.
United States Tax Court
T.C. Memo 1982-285; 1982 Tax Ct. Memo LEXIS 459; 43 T.C.M. (CCH) 1462; T.C.M. (RIA) 82285;
May 24, 1982.
F. Patrick Matthews, for the petitioners.
Mark D. Petersen, for the respondent.

KORNER

MEMORANDUM FINDINGS OF FACT AND OPINION

KORNER, Judge:* Respondent determined a deficiency in petitioners' Federal income tax for the calendar year 1973 in the amount of $ 3,851.63. The only adjustment by respondent to petitioners' income which was appealed to this Court by petitioners, and therefore the only issue which has to be determined in this case, is whether petitioners realized taxable income, in the form of long-term capital gains, in the year 1973 as the result of the*460 sale of certain stock by petitioner John L. Touchett in that year. The evidence in the case consists of a stipulation of facts with attached joint exhibits, together with testimony and another exhibit received at trial. In addition, the parties have stipulated that the record evidence presented in the case of Lorraine T. Fink, Petitioner v. Commissioner of Internal Revenue, Respondent, Docket No. 4042-80, may also be considered as part of the record herein.

FINDINGS OF FACT

Petitioners John L. Touchett and Josephine A. Touchett, husband and wife, were residents of Delavan, Wisconsin, at the time the petition herein was filed. Petitioners timely filed a joint Federal income tax return for the calendar year 1973 and a subsequent amended return for said year with the Internal Revenue Service Center at Kansas City, Missouri. 1

*461 E-Z Paintr Corporation ("Paintr") was a Delaware Corporation, with its principal place of business at Milwaukee, Wisconsin. Its principal business was the making of paint rollers and closely related products.

On November 18, 1972, at a time when petitioner owned 13,842 shares of the common stock of Paintr, he entered into a contract with an unrelated business corporation named Newell Companies, Inc. ("Newell"). This agreement provided for the immediate purchase of 1,000 shares of petitioner's Paintr stock by Newell, at a price of $ 15 per share. The agreement further granted to Newell an option to purchase the remaining Paintr shares owned by petitioner at a price of $ 15 per share. The agreement also provided that Newell had to exercise its option within six months of the date of the agreement, in the event that it had acquired 51% control of the outstanding common stock of Paintr in the meantime. Upon exercise of this option, petitioner was entitled to be paid in cash unless, prior to January 1, 1973 he gave written notice to the company that he elected to take a promissory note in lieu of cash, such note to bear interest at the rate of 6 1/2% per annum, due 10 years following*462 its making.

Under date of December 29, 1972, the above option agreement between petitioner and Newell was amended. So far as pertinent herein, these amendments included a recital that petitioner's shares subject to the option agreement were 12,842, and that petitioner's option to take a promissory note from Newell for the shares, in the event of Newell's exercise of the option, was cancelled.

On March 14, 1973, the option agreement between petitioner and Newell was further amended so as to extend the option period until 20 days following the next annual meeting of stockholders of Paintr or until January 15, 1974, whichever date should first occur. In consideration of this extension of time, it was agreed that petitioner would be entitled to tender 10,342 shares of his Paintr stock to Newell for purchase pursuant to the terms of a public offer made by Newell dated February 8, 1973, at a price of $ 15 per share. Two days later, on March 16, 1973, petitioner tendered these shares to Newell, and was paid $ 155,130.00 for them. After this transaction, petitioner continued to own 2,500 shares of Paintr stock which was still subject to the Newell option to purchase.

Petitioner*463 in the summer of 1973 found himself in financial difficulties. He was liable for $ 714,700.00 for loans made either directly to him or guaranteed by him from the Merchants and Savings Bank of Janesville, Wisconsin ("M&S Bank"), not including accrued interest. Said loans were secured, in large part, by Paintr stock belonging to petitioner's mother Lorraine T. Fink, which she had allowed to be pledged as collateral for petitioner's loans at the M&S Bank, as well as by petitioner's own Paintr stock. As of August 14, 1973, there were 33,509 shares of petitioner's mother's stock so pledged at the M&S Bank on account of petitioner's debts and guarantees, as well as the remaining 2,500 shares belonging to petitioner. In addition, petitioner had mortgage loans from the M&S Bank in excess of $ 200,000.00, and was also indebted to another bank for loans of $ 97,000.00.

In the summer of 1973, the M&S Bank had been criticized by the banking authorities, who considered that petitioner's loans with the bank were of unacceptable quality. The bank, in turn, began to press petitioner for payment or substantial reduction of his outstanding loans. Under the terms of the collateral agreements, *464

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1982 T.C. Memo. 285, 43 T.C.M. 1462, 1982 Tax Ct. Memo LEXIS 459, Counsel Stack Legal Research, https://law.counselstack.com/opinion/touchett-v-commissioner-tax-1982.