Opinion · United States Tax Court

Haber v. Commissioner

52 T.C. 255

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1969-05-15
Topic
general

OPINION' The initial issue presented for decision is whether the forgiveness by Beacon Sales Co., a subchapter S corporation, of indebtedness owed by a shareholder, petitioner Jack Haber, should be treated as a distribution of property resulting in a corresponding reduction of the basis of the shareholder’s stock in such corporation. An affirmative determination of this issue would require the holding, pursuant to section 1374(c) (2), that petitioner was not entitled to deduct a prorata amount of the net operating losses incurred by Beacon Sales Co. in subsequent taxable years. Beacon Sales Co. was, from its fiscal year ending June 30, 1960, through the taxable years before the Court, an electing small business corporation under the provisions of subchapter S. It suffered net operating losses for the taxable years ending June 30, 1960, and June 30, 1961, of $25,822.36 and $3,598.64, respectively. Pursuant to the provisions of section 1314, petitioner deducted for the above years, $11,180 as his prorata share of the net operating losses.

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