1937 BTA LEXIS 878 | B.T.A. | 1937
Lead Opinion
OPINION.
The Commissioner determined a deficiency of $29,-427.55 in the petitioner’s income tax for 1932. Three adjustments were made, only one of which remains in issue. The Commissioner added to petitioner’s income $231,294, with the following explanation :
*413 (c) Dividends from the Holmby Corporation have been determined to be liquidating dividends and taxable as capital gain. The amount of $231,294 representing distributions made by the corporation is therefore included as capital gain for the reason that all distributions in 1932 are in excess of the cost basis of the stock which has been recovered.
The petitioner contends that although this $231,294 is a liquidating distribution as described in the Revenue Act of 1932, section 115, she has not realized taxable gain in 1932, since the total amount received by her in liquidation, including this $231,294, is still less than her basis. The facts have all been presented in a written stipulation and it is only necessary to state such as aid the determination of the controversy.
Petitioner, a resident of California, was the wife of Arthur Letts, Sr., who died testate on May 18, 1923. By his will petitioner acquired 69,168 shares of the Holmby Corporation, which were distributed to her on August 20, 1925. On that date the fair market value of such shares was, in the aggregate, $9,139,167.84. Petitioner, on September 1, 1925, transferred 100 such shares to her husband, Charles H. Quinn.
Letts had been the owner of 138,336 shares of the total of 138,442 outstanding. Soon after his death the corporation determined upon complete liquidation, and distributions in pursuance thereof were made from time to time, including that in 1932 now under consideration. Prior to August 20, 1925, $2,367,358.20 ($17.10 for each share) had been distributed. Thereafter, before 1932, distributions were made, including distributions to the petitioner, as follows:
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It is stipulated that “each of the distributions referred to * * * constituted steps in the Holmby Corporation’s process of complete liquidation.” The distributions of May 17 and October 11, 1927, were made pursuant to corporate resolutions, and in accordance therewith the corporation received from each of the shareholders one share of stock for each $100 distributed, i. e., the petitioner, on May 17, 1927, surrendered 19,179 shares and received $1,917,900, and on October 11, 1927, surrendered 38,875 shares to receive $3,887,500. The amounts of these distributions were charged on the corporation’s books to its capital stock account. In 1932 the corporation distributed, as jmrt of its complete liquidation, $463,743, of which petitioner received $231,294, the amount here in controversy.
The petitioner correctly excluded the $231,294 from her income of 1932, and the respondent’s determination is reversed.
Judgment will he entered u/nder Rule SO.