Zeta Beta Tau Fraternity, Inc. v. Commissioner

87 T.C. No. 23, 87 T.C. 421, 1986 U.S. Tax Ct. LEXIS 64
CourtUnited States Tax Court
DecidedAugust 13, 1986
DocketDocket No. 9419-78
StatusPublished
Cited by3 cases

This text of 87 T.C. No. 23 (Zeta Beta Tau Fraternity, Inc. 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
Zeta Beta Tau Fraternity, Inc. v. Commissioner, 87 T.C. No. 23, 87 T.C. 421, 1986 U.S. Tax Ct. LEXIS 64 (tax 1986).

Opinion

SWIFT, Judge:

In a timely statutory notice of deficiency respondent determined a deficiency in the unrelated business income tax of petitioner for its taxable year ending June 30, 1971, in the amount of $1,936. The only issue for decision is whether petitioner, a tax-exempt social club described in section 501(c)(7),1 also qualifies as a tax-exempt domestic fraternal society described in section 501(c)(10). If so, petitioner’s income from investments is not taxable as unrelated business income and petitioner is not liable for an underpayment of tax.

FINDINGS OF FACT

This case was submitted fully stipulated under Rule 122, Tax Court Rules of Practice and Procedure. At the time of filing the petition herein, petitioner maintained its principal office in New York City.

Petitioner was organized as a New York corporation in 1907. Petitioner is the central organization of the Zeta Beta Tau national college fraternity (hereinafter referred to as Zeta Beta). Associated with Zeta Beta are approximately 80 local chapters. Also associated with Zeta Beta are approximately 80 corporations (hereinafter referred to as the house corporations) that individually own each building in which the local fraternity houses are located. Zeta Beta also operates the Zeta Beta Tau Foundation, Inc., and the NPEF Foundation, Inc. Zeta Beta, its associated local chapters, and the house corporations were granted tax-exempt status by respondent in 1940 under the provisions of section 101(a), Internal Revenue Code of 1939, the predecessor to section 501(c)(7).

Under the provisions of its national constitution and code of rules, the officers and directors of Zeta Beta’s governing body, the supreme council,2 are selected by representatives of the local chapters who meet annually at a national convention. The supreme council meets periodically and acts as the legislative, executive, and judicial authority of Zeta Beta. Zeta Beta also employs an administrative staff. The principal purpose of Zeta Beta’s central staff is to serve as the coordinating and governing organization of the local chapters, house corporations, and private foundations that comprise the Zeta Beta national college fraternity.

Zeta Beta also provides various programs, services, and publications to the local chapters, their members, and the house corporations. The services and publications provided by Zeta Beta include a philantrophic and social service programming guide, a dance marathon guide, a fraternity magazine, awards to local chapters and members for scholastic and public service achievements, information concerning scholarship and emergency student loan programs, a leadership school for undergraduate members, and a monthly newsletter containing articles on professional schools, study tips, financial aid information, and social news from local chapters throughout the United States. Zeta Beta itself does not engage in any significant social activities.

Each local chapter of Zeta Beta adopts its own constitution and bylaws and generally exercises substantial autonomy in the governance of its affairs. The local chapter may not, however, adopt any rule that contravenes Zeta Beta’s constitution or code of rules. Generally, each local chapter does not incorporate as a separate entity. Each chapter, however, files its own annual Federal tax returns (Forms 990, Return of Organization Exempt from Tax). The assets, liabilities, receipts, and expenses of local chapters are not included on Zeta Beta’s Federal tax returns. Zeta Beta also does not file a separate group information return with respondent on behalf of local chapters.

Each house corporation associated with Zeta Beta is separately incorporated and serves as the owner and manager of the local fraternity house. The house corporations individually file annual Federal tax returns (Forms 990), and Zeta Beta does not include the assets, liabilities, receipts, or expenses of the individual house corporations in its Federal tax returns. Each house corporation is, however, subordinate to Zeta Beta and subject to its general supervision.

The Zeta Beta Tau Foundation, Inc. (hereinafter referred to as the ZBT Foundation) provides scholarship and loan assistance to undergraduate students who belong to the fraternity. The ZBT Foundation also issues fellowship grants to graduate students in return for their management advice to local chapters of Zeta Beta. The NPEF Foundation, Inc., supports Zeta Beta research and publication programs, chapter house libraries, and leadership development workshops. Both the ZBT Foundation and the NPEF Foundation are recognized by respondent as exempt from Federal income taxes under section 501(c)(3).

As of 1985, Zeta Beta had approximately 104,500 members, of which 4,500 were undergraduate college students and 100,000 were alumni members. Zeta Beta’s local chapters provide the undergraduate student members of Zeta Beta housing and meals, social activities, and opportunities for charitable service within their communities. Usually, only a portion of the members of a local chapter reside at the fraternity house. Local chapters generally provide daily meals to their members.

Social activities of each chapter typically include homecoming weekend for alumni and parents, a fall “football weekend,” a winter carnival, and a formal dance in the spring. Depending on budgetary considerations and the calendar of social events sponsored by the college, local chapters sponsor additional social events at the fraternity house. The costs of the social events typically are borne by individual members of the chapter.

Local chapters of Zeta Beta also participate in public service activities, such as blood drives, Easter Seal drives, and the transportation of elderly citizens to the polls on election day. Some local chapters regularly sponsor an annual dance marathon to raise funds for charity.

Local chapters of Zeta Beta compete with other college fraternities in scholastic achievement. Chapter members help each other adjust to college life and generally aid in each other’s personal development. At times, upperclassmen and graduate student members of Zeta Beta assist and supervise other members of Zeta Beta in their studies. Most Zeta Beta fraternity houses contain a library for use by members. Of the approximately 100,000 alumni, approximately 5,100 contributed money in 1984 to Zeta Beta. An additional 600 alumni participated in Zeta Beta activities in 1984.

The parties agree that Zeta Beta and its subordinate local chapters operate under the lodge system and do not pay insurance benefits to members within the meaning of section 501(c)(10). Zeta Beta concedes that (together with its subordinate local chapters and house corporations) it is a national college fraternity within the meaning of section 1.501(c)(10)-l, Income Tax Regs.

On August 18, 1972, Zeta Beta filed a Return of Organization Exempt from Tax (Form 990) for its taxable year ended June 30, 1971. On June 15, 1973, Zeta Beta filed its Exempt Organization Business Income Tax Return (Form 990-T) for its taxable year ended June 30, 1971. In November of 1975, Zeta Beta filed with respondent an application for a determination that it was tax exempt as a domestic fraternal society under section 501(c)(10). Zeta Beta’s application was denied on June 26, 1976.

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Bluebook (online)
87 T.C. No. 23, 87 T.C. 421, 1986 U.S. Tax Ct. LEXIS 64, Counsel Stack Legal Research, https://law.counselstack.com/opinion/zeta-beta-tau-fraternity-inc-v-commissioner-tax-1986.