Zumstein v. Commissioner
This text of 1973 T.C. Memo. 45 (Zumstein 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.
Opinion
MEMORANDUM OPINION
FORRESTER, Judge: Respondent has determined deficiencies in petitioners' income tax for the years 1967 and 1968 in the respective amount of $555 and $762.72. The sole issue presented for our decision is whether payments made by petitioner Robert F. Zumstein to a trust as rental for property, 2 which he had previously transferred to the trust*243 and leased back for his use in the practice of medicine, are deductible as ordinary and necessary business expenses under the provisions of section 162(a) (3). 1
All of the facts are stipulated and are so found. Petitioners are husband and wife and at the time the petition herein was filed resided in Ariton, Alabama. Petitioners filed joint Federal income tax returns for the taxable years in issue with the director, southeast service center, Chamblee, Georgia.
On July 1, 1966, Robert F. Zumstein, hereinafter referred to as petitioner, established a 10-year irrevocable trust for the benefit of his children. The pertinent parts of the trust instrument provide as follows: 3
TRUST AGREEMENT made July 1, 1966, between Robert F. Zumstein, of Ariton, Alabama, hereinafter called Grantor and Joe D. Laney, hereinafter called Trustee.
* * *
2. DISPOSITIVE PROVISIONS. The Trustee shall hold and manage the trust property and shall apply and distribute the income and principal of the trust property in the following manner:
(a) The Trustee shall pay to or apply the net*244 income from the trust property to Nancy Lynn Zumstein, Carolyn Sumstein and James F. Zumstein, children of the Grantor, and to the survivors and survivor of them in equal shares. Distribution of such income shall be made by the Trustee in such convenient periodic installments as he deems advisable but no less frequently than annually.
(b) This trust shall terminate on July 15, 1976, or upon the death of Nancy Lynn Zumstein, Carolyn Zumstein and James F. Zumstein, if all of them die before said date, or upon the death of Robert F. Zumstein, and upon termination in either of such events the principal of this trust shall be paid over to the Grantor if he is then living.
(c) If the Grantor is not living at the time this trust terminates, the principal of this trust shall be paid over to the estate of the Grantor.
3. TRUSTEE'S POWERS. In the administration of the trust, the trustee shall have the following powers, all of which shall be exercised only in a fiduciary capacity primarily in the interest of the beneficiaries:
(a) To hold, manage, rent, sell, convey, to collect the income therefrom, lease for a period beyond the termination of this trust, or for a less period, improve, *245 encumber or borrow on the security of, the real estate described in paragraph one of this trust. In the event that the property described in paragraph one hereinabove is sold during the term hereof under the powers contained in this paragraph, the proceeds from such sale in an amount equal to the adjusted cost basis shall revert to grantor at the termination of this trust. 4
(b) To hold and manage the property described herein and such other property as may subsequently become a part of this trust, including both real and personal property, with full power to compromise, adjust and settle in their discretion any claim in favor of or against said trust estate, with full power to collect the income therefrom and from time to time to sell, convey, exchange, lease for a period beyond the possible termination of this trust, or for a less period, improve, encumber, borrow on the security of or otherwise dispose of, all or any of said portion of said trust estate, in such manner and upon such terms and conditions as said trustee may approve, and without regard to diversification, to invest the trust property and to retain as trust property, such investments as men of prudence may*246 purchase and hold for their own account, including, but not by way of limitation, stocks, bonds, debentures, real property, and interest in investment trusts.
(c) To give proxies, to deposit securities with and transfer title to committees representing security holders, and to participate in voting trusts, reorganizations, and other transactions involving the common interest of security holders.
4. PRINCIPAL AND INCOME. All profits from sale, exchange and other dispositions of its assets shall be credited to principal in determining the amount of net income for disposition. The Trustee shall make a deduction or charge against the income received from rent or real estate for reasonable depreciation of said real estate and shall set aside a reserve for such depreciation, which reserve shall constitute a part of the principal of the trust.
5. EXERCISE OF POWERS. The Trustee may freely act under all or any of the powers of this agreement given to him in all matters concerning the trust after forming his judgment based upon all the circumstances of any particular situation as to the wisest and best course to pursue in the interest of the trust and the beneficiaries hereunder,*247 without the necessity of obtaining the consent or permission of any person interested therein, or the consent or approval of any court, and notwithstanding that he may also be acting individually, or as a trustee of 5 other trusts, or as an agent for other persons or corporations interested in the same matters or may be interested in connection with the same matters as a stockholder, director, or otherwise; provided, however, that he shall exercise such powers at all times in a fiduciary capacity primarily in the interest of the beneficiaries hereunder.
6. LIMITATION ON POWERS.
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Cite This Page — Counsel Stack
1973 T.C. Memo. 45, 32 T.C.M. 198, 1973 Tax Ct. Memo LEXIS 242, Counsel Stack Legal Research, https://law.counselstack.com/opinion/zumstein-v-commissioner-tax-1973.