Salvatore V. Commissioner
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''Salvatore v. Commissioner'' is an opinion from the
United States Tax Court The United States Tax Court (in case citations, T.C.) is a Federal judiciary of the United States, federal trial court court of record, of record established by US Congress, Congress under Article One of the United States Constitution, Article ...
that holds that a taxpayer cannot avoid paying taxes on the sale of property by first conveying that property to someone else. This opinion was later affirmed by the
United States Court of Appeals for the Second Circuit The United States Court of Appeals for the Second Circuit (in case citations, 2d Cir.) is one of the thirteen United States Courts of Appeals. Its territory covers the states of Connecticut, New York (state), New York, and Vermont, and it has ap ...
. This case outlines some limitations on the "fruit-and-tree" metaphor established in '' Lucas v. Earl'', 281 U.S. 111 (1930) and further developed in ''
Helvering v. Horst ''Helvering v. Horst'', 311 U.S. 112 (1940), is an opinion of the United States Supreme Court which further developed the “fruit-and-tree” metaphor established in '' Lucas v. Earl''.. ''Horst'' is the leading case that applies the assignment o ...
'', 311 U.S. 112 (1940). Decided in 1970, the case arose when a taxpayer tried to avoid paying
capital gains tax A capital gains tax (CGT) is the tax on profits realized on the sale of a non-inventory asset. The most common capital gains are realized from the sale of stocks, bonds, precious metals, real estate, and property. In South Africa, capital g ...
from sale of property by giving a share in that property to her children. She then paid a
gift tax In economics, a gift tax is the tax on money or property that one living person or corporate entity gives to another. A gift tax is a type of transfer tax that is imposed when someone gives something of value to someone else. The transfer must ...
, which is significantly less than the tax on the gain would have been if she had not given a share to her children.


Background

Prior to his death on October 7, 1948, Susie Salvatore's husband owned and operated a
gas station A filling station (also known as a gas station [] or petrol station []) is a facility that sells fuel and engine lubricants for motor vehicles. The most common fuels sold are gasoline (or petrol) and diesel fuel. Fuel dispensers are used to ...
in
Greenwich, Connecticut Greenwich ( ) is a New England town, town in southwestern Fairfield County, Connecticut, United States. As of the 2020 United States census, 2020 census, it had a population of 63,518. It is the largest town on Gold Coast (Connecticut), Connectic ...
. Upon his death, his entire estate was bequeathed to his wife. For the next several years, Susie Salvatore, her three sons, and one of her two daughters operated the gas station. As time passed, several of the Salvatore children moved on while the land on which the gas station was located became increasingly valuable, to the point where several oil companies made offers to purchase the property. The family rejected several proposals, until in the summer of 1963, Texaco, Inc. made a proposal to purchase the land for $295,000.''Salvatore v. Commissioner''
T.C. Memo 1970-30
29 T.C.M. (CCH) 89; RIA T.C. Memo ¶ 70030 (1970).
To ensure Susie Salvatore's accustomed weekly stipend (received from the operation of the gas station), she was to receive $100,000 of the proceeds. The remainder was to be divided amongst her children. To effectuate this, petitioner conveyed a one-half interest in the property to the children and the deeds would be executed by the children and petitioner when conveying the property to Texaco. On July 24, 1963, the Salvatore family formally accepted the offer from Texaco. Not until August 28, 1963, however, was a
warranty deed A warranty deed is a type of deed where the grantor (seller) guarantees that they hold clear title to a piece of real estate and has a right to sell it to the grantee (buyer), in contrast to a quitclaim deed, where the seller does not guara ...
conveying an undivided one-half interest in the property to her five children executed. On that same date, warranty deeds were executed conveying the property to Texaco, at which point Texaco paid the balance of the purchase price (less the $50,000 mortgage). In 1963, Susie Salvatore then filed a Federal
gift tax In economics, a gift tax is the tax on money or property that one living person or corporate entity gives to another. A gift tax is a type of transfer tax that is imposed when someone gives something of value to someone else. The transfer must ...
return reporting gifts of 1/10 interest in the property to each of the five children. In her
income tax An income tax is a tax imposed on individuals or entities (taxpayers) in respect of the income or profits earned by them (commonly called taxable income). Income tax generally is computed as the product of a tax rate times the taxable income. Tax ...
return for that year, she only reported her share of the gain from the sale of the gas station as a long-term
capital gain Capital gain is an economic concept defined as the profit earned on the sale of an asset which has increased in value over the holding period. An asset may include tangible property, a car, a business, or intangible property such as shares. ...
plus a small ordinary gain. The children reported their respective shares on their income tax forms as well. The
Commissioner of Internal Revenue The Commissioner of Internal Revenue is the head of the Internal Revenue Service (IRS), an agency within the United States Department of the Treasury. The office of Commissioner was created by United States Congress, Congress as part of the Reven ...
contested that the entire gain on the sale of the property was taxable as a long-term capital gain, a tax much higher than the gift tax paid by Susie Salvatore.


Holding

The
United States Tax Court The United States Tax Court (in case citations, T.C.) is a Federal judiciary of the United States, federal trial court court of record, of record established by US Congress, Congress under Article One of the United States Constitution, Article ...
ruled that the petitioner, Susie Salvatore, was taxable on all of the gain realized on the sale of the gas station. The Tax Court ruled that this decision was subject to the
precedent Precedent is a judicial decision that serves as an authority for courts when deciding subsequent identical or similar cases. Fundamental to common law legal systems, precedent operates under the principle of ''stare decisis'' ("to stand by thin ...
set in the
Supreme Court In most legal jurisdictions, a supreme court, also known as a court of last resort, apex court, high (or final) court of appeal, and court of final appeal, is the highest court within the hierarchy of courts. Broadly speaking, the decisions of ...
case of '' Commissioner v. Court Holding Co.'', in which the Supreme Court stated: The Tax Court viewed the petitioner's children as "conduit's through which to pass title" and stated that, "the form of a transaction cannot be permitted to prevail over its substance. In substance, petitioner made an anticipatory assignment to her children of one-half of the income from the sale of the property." On a similar note, " r tax liabilities cannot be altered by a rearrangement of the legal title after she had already contracted to sell the property to Texaco." Susie Salvatore later appealed this decision. On appeal, the ruling made by the United States Tax Court was affirmed by the
United States Court of Appeals for the Second Circuit The United States Court of Appeals for the Second Circuit (in case citations, 2d Cir.) is one of the thirteen United States Courts of Appeals. Its territory covers the states of Connecticut, New York (state), New York, and Vermont, and it has ap ...
on the grounds that the tax court was not clearly erroneous. The court held that the evidence supported the conclusion that Susie Salvatore was the sole owner of the property upon its sale, and that the Salvatore children were not sellers but mere "conduits."


Other relevant cases

In ''
Helvering v. Horst ''Helvering v. Horst'', 311 U.S. 112 (1940), is an opinion of the United States Supreme Court which further developed the “fruit-and-tree” metaphor established in '' Lucas v. Earl''.. ''Horst'' is the leading case that applies the assignment o ...
'', the United States Supreme Court held: In '' Estate of Stranahan v. Commissioner'', the United States Court of Appeals for the Sixth Circuit addressed the situation where the income rights are sold instead of gifted.


References


External links

* *{{caselaw source , case = ''Salvatore v. Commissioner'', 434 F.2d 600 (2d. Cir. 1970) , courtlistener =https://www.courtlistener.com/opinion/293286/susie-salvatore-v-commissioner-of-internal-revenue/ , justia =https://law.justia.com/cases/federal/appellate-courts/F2/434/600/246997/ , openjurist =https://openjurist.org/434/f2d/600 , leagle =https://www.leagle.com/decision/19701034434f2d6001885 , googlescholar =https://scholar.google.com/scholar_case?case=4104239818017455918 United States taxation and revenue case law United States Tax Court cases Texaco 1970 in United States case law