DocketNumber: Docket No. 4878-86.
Filed Date: 5/31/1989
Status: Non-Precedential
Modified Date: 11/20/2020
SUPPLEMENTAL MEMORANDUM OPINION
NIMS,
Petitioner asserts that under our aforementioned opinion the proper computation should be as follows:
Purchase note amount | $ 1,335,000 |
Bond purchase price | 3,600,000 |
Deferred gain on sale | 1,062,000 |
Multiplier = Purchase note amount / Bond purchase price = ($ 1,335,000) / ($ 3,600,600) X 100 = 37.0833%
Taxable gain = (Multiplier) X (Deferred gain on sale)
= (37.0833%) X ($ 1,062,000) = $ 393,825
Petitioner presents no authorities in support of*265 its position.
Respondent asserts that petitioner's taxable gain is $ 1,062,000. We agree with respondent.
As we stated in our opinion, "petitioner used $ 1,335,000 of the bond proceeds to satisfy the purchase note." Thus, since petitioner satisfied the purchase note with cash, its creation of a multiplier to reduce the taxable gain from $ 1,062,000 to $ 393,825 is without foundation.
We hold that petitioner's realized and taxable gain is $ 1,062,000.
To reflect the foregoing,