Voight v. Commissioner

68 T.C. 99, 1977 U.S. Tax Ct. LEXIS 116
CourtUnited States Tax Court
DecidedApril 27, 1977
DocketDocket Nos. 4565-74, 7014-75
StatusPublished
Cited by21 cases

This text of 68 T.C. 99 (Voight 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
Voight v. Commissioner, 68 T.C. 99, 1977 U.S. Tax Ct. LEXIS 116 (tax 1977).

Opinion

Scott, Judge:

Respondent determined deficiencies in petitioners’ Federal income tax and an addition to tax as set forth below:

Docket Calendar No. Petitioners year Deficiency Addition to tax, sec. 6651(a)

4565-74 Floyd J. Voight and Marion C. Voight. 1968 $204,017.48 -

1969 123,036.91 -

7014-75 Floyd J. Voight and C. Lorraine Perk Voight. 1970 44,355.27 $10,460.20

1971 7,450.48 -

Several issues raised by the pleadings have been disposed of by agreement of the parties. The only issue remaining for decision is whether petitioners are entitled to report gain realized on the sale of real property in 1968 under the installment method provided in section 453, I.R.C. 1954.1

FINDINGS OF FACT

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

Petitioners Floyd J. Voight and Marion C. Voight, husband and wife as of the end of calendar years 1968 and 1969, filed joint Federal income tax returns for those years with either the District Director, Internal Revenue Service, Milwaukee, Wis., or the Director, Internal Revenue Service Center, Kansas City, Mo. Petitioners Floyd J. Voight and C. Lorraine Perk Voight, husband and wife as of the end of calendar years 1970 and 1971, filed joint Federal income tax returns for those years with the Director, Internal Revenue Service Center, Chamblee, Ga.2 At the time of filing the petitions in these cases, consolidated here for trial and opinion, all petitioners resided in Palm Beach, Fla.

In 1968, petitioner Floyd J. Voight owned certain real property and leasehold improvements in Madison, Wis. Most of this property was operated as a Holiday Inn motel, and the rest was land adjoining the motel. The leasehold improvements were constructed on land leased from a trust of which Mr. Voight’s children were the beneficiaries. Prior to 1968, petitioner’s property was owned by a corporation, HIM, Inc., of which petitioner was an officer.

In 1968, Mr. Voight determined to sell the Holiday Inn and the adjoining property (hereinafter referred to as the Holiday Inn property) in anticipation of his retirement and move to Florida. He found a buyer, Madison Motor Inn, Inc., a subsidiary of General Management Corp. However, he encountered some difficulty in arranging the sale. The property was subject to three mortgages held by First Federal Savings & Loan Association of Wisconsin (hereinafter referred to as First Federal) totaling $1,136,698.72 on October 1, 1968. Petitioner’s adjusted basis in the property on October 1, 1968, was $625,696.22. Petitioner wanted to report the gain on the sale of the property under the installment method, and he believed that selling by means of a contract for deed was the only way that would allow him to do so in these circumstances.

On October 1,1968, petitioners Floyd J. Voight and his then wife Marion C. Voight entered into an agreement with Madison Motor Inn, Inc. (Madison) and its parent, General Management Corp. (General), for the sale to Madison of the Holiday Inn property. This agreement, entitled "Installment Contract,” is set forth in pertinent part below:

This agreement made as of the 1st day of October, 1968, by and between FLOYD J. VOIGHT, and MARION C. VOIGHT, his wife, hereinafter referred to in the singular as the Seller, and Madison Motor Inn, Incorporated, a Wisconsin corporation, Buyer,
Witnesseth:
The Seller hereby agrees to sell, transfer and convey to the Buyer: (a) the improvements consisting of the motel, restaurant and bar comprising the business known as Holiday Inn #1 on East Washington Avenue, Madison, Dane County, Wisconsin, located upon the lands described in Exhibit A which is attached hereto; (b) the fee simple title to the land described in Exhibit B which is attached hereto; and (c) everything connected with or pertaining to such business excepting only accounts receivable and the personal property which HIM, Inc. is conveying to the party of the second part by a bill of sale of even date herewith, for the sum of one million two hundred fifty thousand dollars ($1,250,000.00) upon the terms and conditions hereinafter set forth:
1. Payment. The sum of thirty thousand dollars ($30,000.00) is paid upon the purchase price upon the execution hereof; and the balance of one million two hundred twenty thousand dollars ($1,220,000.00) shall be paid by the Buyer to the Seller in monthly installments in the following manner:
(a) The sum of one million one’ hundred thirty-six thousand six hundred ninety-eight and 72/100 dollars ($1,136,698.72) plus interest thereon from December 1, 1968, at the rate of seven per cent per annum shall be paid in monthly installments equal to the monthly installments of principal and interest on the obligation secured by the three mortgages of record in Dane County, Wisconsin Register of Deeds office as documents numbered 1068991, 1068992 and 1124926 and the amendments thereto, beginning on the first day of December, 1968, and continuing on the first day of each subsequent calendar month until said amount and all interest thereon is paid in full.
(b) The sum of eighty-three thousand three hundred one and 28/100 ($83,301.28) plus interest thereon at the rate of six and three-fourths per cent per annum from December 1, 1968, shall be paid in monthly installments of $734.50 beginning on the first day of December, 1968, and continuing on the first day of each subsequent calendar month until said amount and all interest thereon is paid in full. The Buyer shall deduct from each payment under this paragraph 1/28 of the amount of interest payable on the same date under paragraph (a) above.
The buyer may make the payments first above mentioned to the holder or holders of the obligations to First Federal Savings and Loan Association of Wisconsin secured by the three mortgages of record in the Dane County, Wisconsin Register of Deeds Office as documents numbered 1068991, 1068992 and 1124926 and the amendments thereto, and such payments shall be deemed to have been made upon this contract. All payments on this contract shall be applied first to interest in advance for each month and then to principal.
2. Possession of the premises shall be given to the Buyer as of the beginning of October, 1968.
3. All taxes and assessments for the year 1968 and subsequent years shall be paid by the Buyer. The Buyer shall pay to the Seller to be held in trust for payment of installment payments, taxes and assessments in advance in amounts equal to those required of the Seller by said mortgages for taxes and assessments and may make such payments directly to the holder of said mortgages to be deposited in the Seller’s escrow account with the holder of such mortgages. The Buyer shall keep such buildings and improvements in good condition and repair and insured in good licensed insurance companies against fire and extended coverage casualties in an amount at least equal to the balance unpaid hereunder with loss payable to the Seller as his interest may appear.

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Bluebook (online)
68 T.C. 99, 1977 U.S. Tax Ct. LEXIS 116, Counsel Stack Legal Research, https://law.counselstack.com/opinion/voight-v-commissioner-tax-1977.