Warren M. Goodspeed Scholarship Fund, Baybank Merchants, N.A. v. Commissioner

70 T.C. 515, 1978 U.S. Tax Ct. LEXIS 101
CourtUnited States Tax Court
DecidedJune 15, 1978
DocketDocket No. 6725-77X
StatusPublished
Cited by13 cases

This text of 70 T.C. 515 (Warren M. Goodspeed Scholarship Fund, Baybank Merchants, N.A. 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
Warren M. Goodspeed Scholarship Fund, Baybank Merchants, N.A. v. Commissioner, 70 T.C. 515, 1978 U.S. Tax Ct. LEXIS 101 (tax 1978).

Opinion

OPINION

Raum, Judge:

The Commissioner determined that petitioner is a private foundation as defined in section 509(a), I.R.C. 1954. The petitioner has invoked the jurisdiction of this Court, pursuant to section 7428,1 for a declaratory judgment that it is an organization described in section 509(a)(3) and therefore not a private foundation. The only question is whether petitioner satisfies the organizational test set forth in sections 1.509(a)-4(c)(l)(i) and 1.509(a)-4(c)(2), Income Tax Regs.

This case is submitted for our decision under Rule 122, Tax Court Rules of Practice and Procedure. The joint stipulation as to the administrative record and the administrative record itself were filed by the parties pursuant to Rule 217 of this Court and the factual representations made therein by the petitioner are assumed to be true for purposes of this proceeding.

Petitioner, the Warren M. Goodspeed Scholarship Fund, is a trust described in section 501(c)(3) and exempt from taxation under section 501(a). It was established pursuant to the Will of Joan R. Goodspeed, who died on April 22, 1964, leaving a will dated October 28,1955. Her will was allowed and the Merchants National Bank of New Bedford (now known and hereinafter referred to as Baybank Merchants, N.A.) was appointed executor by the Plymouth County Probate Court of the Commonwealth of Massachusetts on June 22, 1964. Baybank Merchants, N.A., was also appointed trustee of petitioner under the will by the Plymouth County Probate Court on November 1, 1966; it maintained its principal offices in New Bedford, Mass., at the time the petition in this case was filed.

Mrs. Goodspeed’s will, dated October 28, 1955, constitutes petitioner’s “articles of organization” as defined in section 1.501(c)(3)-l(b)(2), Income Tax Regs. The will states, in pertinent part:

I give, devise and bequeath as follows, viz:
^ * * *
2. All the rest, residue and remainder of my estate, of every kind and nature, real, personal and/or mixed and wheresoever situated, including any property over which I may at the time of my decease have any power of appointment, as follows:
A. The sum of * * *
B. To The Merchants National Bank of New Bedford the balance of said rest and residue (including the legacy given by subparagraph “2A” if said Elsie Sylvia fails to survive me or if there is no sufficient evidence that she and I have died otherwise than simultaneously), but in perpetual trust nevertheless for the following uses and purposes and with the following powers and duties, the fund created by this subparagraph “2B” to be known as “The Warren M. Goodspeed Scholarship Fund”:
I. To hold, manage, invest and reinvest.
II. To use the net income for the purpose of paying for (or contributing toward, if said net income be not sufficient) the education (including all college fees and charges, room, board, books and supplies) at Yale College of such graduates of Duxbury, Massachusetts, High School or bona fide residents of Duxbury, Massachusetts, as shall be elected by majority vote of a committee composed of the Principal of said Duxbury High School, the President (or Trust Officer) of said The Merchants National Bank of New Bedford and the President of Yale University * * * . No person so selected shall be deemed to have any right, interest or claim against the trust fund or the trustee, this being a “charitable trust”.
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If at the time for selection of a student:
said Principalship is vacant or the incumbent is unable or unwilling to act, a person chosen by vote of the Duxbury School Committee shall participate in said selection in place of the Principal,
neither the President nor the Trust Officer of said Bank is able or willing to act or a vacancy exists in both offices, a person chosen by vote of the Board of Directors of said Bank shall participate in said selection in place of either of said Bank officers,
the Presidency of Yale University is vacant or the incumbent is unable or unwilling to act, a person chosen by vote of the governing board of said University shall participate in said selection in place of said President. It is my purpose to provide for the education of Duxbury High School graduates or bona fide Duxbury residents and not to impede the same by prescribing burdensome procedures for the selection of students; therefore no formal meetings of the selectors need be held, a majority of the selectors may act without the concurrence of the third, and the Trustee may rely on a certificate of selection signed by any two persons claiming to be duly qualified' selectors without requiring further authentication.

As of February 1976 petitioner’s trust fund had a principal value of more than $1 million and its annual net income was in excess of $40,000. Several eligible persons, selected in the manner prescribed in Mrs. Goodspeed’s will, had been granted 4-year scholarships to Yale College, where their academic progress was monitored by the trustees. Yale University participated in the selection of scholarship recipients and also requested copies of petitioner’s annual reports to the Plymouth County Probate Court for taxable years beginning after December 31, 1971. As of 1976, there was pending in the Plymouth County Probate Court a petition for reformation and amendment of the trust, wherein the trustee was seeking authority to grant scholarships (i) to persons from a wider geographical area than the town of Duxbury, and (ii) to persons attending schools at Yale University other than Yale College.2

The petitioner filed an Application for Recognition of Exemption under section 501(c)(3) with the District Director of Internal Revenue, Boston, Mass., on February 10, 1976, and requested therein a definitive ruling that it is not a private foundation because it is an organization described in section 509(a)(3) (hereinafter a supporting organization). On September 1, 1976, the Internal Revenue Service issued a final adverse ruling that petitioner is a private foundation, not a supporting organization described in section 509(a)(3). This adverse ruling was reissued, and affirmed by letter dated April 5,1977, which letter indicated that it “constitutes final notice of [the Commissioner’s adverse] determination for purposes of Code section 7428(b)(3).” The basis for the Commissioner’s adverse ruling was that petitioner failed to meet the organizational test set forth in sections 1.509(a)-4(c)(l)(i) and 1.509(a)-4(c)(2), Income Tax Regs.3

Petitioner, the Warren M. Goodspeed Scholarship Fund, challenges the Commissioner’s determination that it is a private foundation as defined in section 509(a), I.R.C. 1954, rather than a supporting organization excepted from the definition of private foundation by section 509(a)(3).

Section 509(a) states, in pertinent part:

SEC. 509. PRIVATE FOUNDATION DEFINED.
(a) General Rule.

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Bluebook (online)
70 T.C. 515, 1978 U.S. Tax Ct. LEXIS 101, Counsel Stack Legal Research, https://law.counselstack.com/opinion/warren-m-goodspeed-scholarship-fund-baybank-merchants-na-v-tax-1978.