ESTATE OF STRANAHAN V. COMMISSIONER
472 F.2d 867 (6th Cir. 1973)
NATURE OF THE CASE: This was a dispute over the assignment of dividends. The United
States Tax Court, partially denied Stranahan's petition for a redetermination of a
deficiency in the decedent's income tax for the taxable period.
FACTS: Stranahan owed the IRS $754,815.72 for interest due to deficiencies in federal
income, estate and gift taxes for several trusts he created in 1932. Stranahan paid that
amount during the 1964 tax year. Stranahan decided that he would accelerate his future
income to avoid losing the tax benefit of the interest deduction. To do this Stranahan
executed an agreement with his son under which Stranahan assigned $122,820 in anticipated
stock dividends for which the son paid $115,000 by check dated December 22, 1964. Stranahan
then reported the $115,000 as ordinary income and was thus able to deduct the full amount of
the $754,815.72. During the tax year in question dividends of $40,500 were reported to be
paid over to son. Son reported these on his return as ordinary income subject to the offset
of $115,000 resulting in a net taxable income of $7,282. The IRS claimed that the $40,500
was taxable to Stranahan's (now deceased) estate. The Tax Court determined that this
transaction was merely a loan masquerading as a sale as it lacked any business purpose.
ISSUE:
RULE OF LAW:
HOLDING AND DECISION:
LEGAL ANALYSIS:
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