Yaeger v. Commissioner

1964 T.C. Memo. 215, 23 T.C.M. 1293, 1964 Tax Ct. Memo LEXIS 121
CourtUnited States Tax Court
DecidedAugust 17, 1964
DocketDocket Nos. 4496-62, 4543-62.
StatusUnpublished

This text of 1964 T.C. Memo. 215 (Yaeger 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
Yaeger v. Commissioner, 1964 T.C. Memo. 215, 23 T.C.M. 1293, 1964 Tax Ct. Memo LEXIS 121 (tax 1964).

Opinion

Lillian E. Yaeger v. Commissioner. Emma M. Heber and Estate of Henry D. Heber, Deceased, Emma M. Heber, Administratrix v. Commissioner.
Yaeger v. Commissioner
Docket Nos. 4496-62, 4543-62.
United States Tax Court
T.C. Memo 1964-215; 1964 Tax Ct. Memo LEXIS 121; 23 T.C.M. (CCH) 1293; T.C.M. (RIA) 64215;
August 17, 1964
Richard B. Dodge, P.O. Box 1495, Santa Ana, Calif., and Jack J. Rimel, for the petitioner in Docket No. 4496-62. F. Edward Little, 458 S. Spring St., Los Angeles, Calif., for the petitioners in Docket No. 4543-62. Roger Rhodes, for the respondent.

FAY

Memorandum Findings of Fact and Opinion

FAY, Judge: Respondent determined deficiencies in the income tax of petitioner Lillian E. Yaeger, as follows:

YearDeficiency
1955$7,248.54
19562,753.21
19572,929.99
19581,177.30
*122 Respondent determined deficiencies in the income tax of petitioners Emma M. Heber and Henry D. Heber, as follows:
YearDeficiency
1956$1,273.89
19577,163.57
1958304.66

There is, in essence, one issue presented for decision. That issue is whether petitioners Lillian E. Yaeger and Emma M. Heber, during their taxable years in issue, each owned a one-half interest in the net income produced by certain rental real estate, or whether petitioner Lillian E. Yaeger owned the entire net income produced by said real estate. Another aspect of this issue is whether the amounts received by petitioner Emma M. Heber from Lillian E. Yaeger during the years before us represent the proceeds from the sale of Emma Heber's partnership interest to Lillian Yaeger in 1944 or whether these amounts, in fact, constitute commuted payments of Emma Heber's share of the net income from the real estate.

Findings of Fact

Some of the facts have been stipulated, and the stipulations of facts, together with the exhibits attached thereto, are incorporated herein by this reference.

Petitioner Lillian E. Yaeger (hereinafter referred to as Yaeger) was during the calendar years 1955 through*123 1958 an unmarried individual residing in Fullerton, California. During those years, she filed her Federal income tax returns, prepared on the basis of a calendar year and the cash method of accounting, with the district director of internal revenue at Los Angeles, California.

Petitioner Emma M. Heber (hereinafter referred to as Heber) and Henry D. Heber were, during the years 1956, 1957, and 1958, husband and wife. During those years they filed joint Federal income tax returns, prepared on the basis of a calendar year and the cash method of accounting, with the district director of internal revenue at Los Angeles, California. 1

Heber and Yaeger had been friends and companions since 1928. During the year 1935, and for a number of years thereafter, they resided together in Fullerton, California. Heber, at all times relevant hereto, since 1927 has been a registered nurse. Yaeger has been a real*124 estate broker for over 50 years.

On or about September 2, 1939, Heber entered into a partnership agreement with Yaeger under the terms of which they acknowledged that they were the equal owners of certain properties described therein as Parcels 1 and 2; that they intended to acquire additional properties in which they were to have an equal interest; that they were to own and operate these and other properties as equal partners; that should either partner become dissatisfied, or desire to withdraw, such partner should not be permitted to do so before making a proposal either to sell or purchase the undivided one-half interest in the fee ownership of properties owned by the other party; and that in the event no sale occurred within a period of thirty days, the partnership was to be dissolved by operation of law. In the event of a dissolution of the partnership, the properties or the proceeds thereof were to be divided equally between Heber and Yaeger.

Parcels 1 and 2, which were located in Fullerton, California, contained certain improvements consisting of buildings which produced rental income. Legal title to Parcels 1 and 2 was held by Security-First National Bank of Los Angeles*125 as trustee for the partnership.

After the execution of the said partnership agreement on or about September 2, 1939, the partnership acquired a liquor store and additional properties designated as Parcels 3, 4, 5, and 6, representing vacant lots, title to which was transferred to Yaeger's attorney. In January or February of 1944, the partnership also acquired some property designated as Parcel 7, which contained a number of citrus trees, but was not productive of income.

All of the properties of the partnership were managed solely by Yaeger. Heber did not participate in the management thereof.

On August 10, 1944, Heber and Yaeger executed an agreement (hereinafter referred to as the termination agreement) which recited that they had formed a partnership on September 2, 1939, relating to their property holdings. The termination agreement specifically described these various properties and then provided that:

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Bluebook (online)
1964 T.C. Memo. 215, 23 T.C.M. 1293, 1964 Tax Ct. Memo LEXIS 121, Counsel Stack Legal Research, https://law.counselstack.com/opinion/yaeger-v-commissioner-tax-1964.