LIANT RECORD, INC. V. COMMISSIONER
303 F.2d 326 (2nd Cir. 1962)
NATURE OF THE CASE: Liant (P) appealed an order from the Tax Court, which upheld a
finding of tax deficiency after Ps did not report income from the disposition of a condemned
office building.
FACTS: Liant (P) and Norman Einstein owned a 25-story office building in Manhattan. The
City of New York instituted condemnation proceedings against Ps' office building. Each of
the taxpayers received payments is settlement for the condemned property during 1954 and
1955 which substantially exceeded their respective tax bases in the property. Between July
12, 1955 and November 1, 1956 Ps acquired three pieces of real estate each containing an
apartment building. P's contribution to the total purchase prices of the three parcels
exceeded his share of the proceeds from the condemnation.
Ps held the properties for rental income and did not occupy any of the properties. P,
contending that their gain on the involuntary conversion was nontaxable under 1033 did not
report any income from the disposition of the condemned office building. The IRS (D) took
the view that the three apartment buildings were not 'similar or related in service or use'
to the condemned office building, and that therefore the taxpayers should have reported an
aggregate capital gain on their 1955 income tax returns of $427,012.61. The Tax Court upheld
the deficiency on the ground that the actual physical end use of the original property by
the lessees as offices, differed from the end use of the replacement properties by the
lessees as apartments. Ps appealed.
ISSUE:
RULE OF LAW:
HOLDING AND DECISION:
LEGAL ANALYSIS:
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