DocketNumber: Docket No. 108313.
Citation Numbers: 1 T.C.M. 834, 1943 Tax Ct. Memo LEXIS 379
Filed Date: 3/30/1943
Status: Non-Precedential
Modified Date: 11/21/2020
Memorandum Opinion
HARRON, Judge: The Commissioner determined a deficiency of $901.92 for the year 1939. The deficiency is contested in part, petitioner assailing only the inclusion of $13,621.99 in income. Respondent added that amount to income as "profit on cancellation of indebtedness."
Petitioner resides in Shelton, Washington. He filed his return for 1939 with the collector for the district of Washington. He keeps his books and makes his returns on the accrual basis. The facts stipulated by the parties are adopted as our findings of fact. On December 27, 1939, petitioner was indebted to Frank J. Walsh on a note in the total amount of $25,525.14, the principal of the note, $15,823.82, plus accrued interest in the amount of $9,701.32. 1943 Tax Ct. Memo LEXIS 379">*380 of the debt.
The note was given, originally, to a contracting company to cover the unpaid balance due to the company for the construction of a building. (Later, Walsh acquired the note from the contracting company). Petitioner contends that the compromise and settlement of the debt did not result in his acquisition of gain, but that, rather, it resulted in a rearrangement of the cost price of the building, in part payment of costs of which the note was given. Petitioner relies on
The facts show that the partial forgiveness of the debt was gratuitous. There is nothing in the record to indicate that the creditor received any consideration for the partial forgiveness of the debt. On the contrary it was without consideration and for the benefit of the debtor, petitioner. It is held that the gratuitous forgiveness of indebtedness constituted1943 Tax Ct. Memo LEXIS 379">*381 a gift within the meaning of
The issue is determined in petitioner's favor, but because one of respondent's adjustments is conceded there must be a recomputation of the deficiency under Rule 50.
1. There is an error in the amount of one of the items stipulated. It appears to be in the amount of the accumulated interest which was said to be $9,702.32, and which probably is $9,701.32.↩