In re Estate of Abely, 73-1332.

Decision Date17 January 1974
Docket NumberNo. 73-1332.,73-1332.
Citation489 F.2d 1327
PartiesIn re ESTATE of Joseph F. ABELY, Deceased. William F. ABELY, co-executor, Petitioner-Appellant, v. COMMISSIONER OF INTERNAL REVENUE, Respondent-Appellee.
CourtU.S. Court of Appeals — First Circuit

Donal O'Callaghan, Boston, Mass., with whom Condon, O'Callaghan & Doyle, Boston, Mass., was on brief, for petitioner.

Wesley J. Filer, Atty., Tax Div., Dept. of Justice, with whom Scott P. Crampton, Asst. Atty. Gen., Meyer Rothwacks, and Loring W. Post, Attys., Tax Div., Dept. of Justice, were on brief, for appellee.

Before COFFIN, Chief Judge, ALDRICH and CAMPBELL, Circuit Judges.

ALDRICH, Senior Circuit Judge.

Joseph F. Abely died domiciled in Massachusetts in March 1969, leaving a gross estate of $365,114. He was survived by a widow and three sons. The legacies to the widow were substantially less than what would have been allowed as a marital deduction for federal estate tax purposes. Internal Revenue Code of 1954, § 2056. A year and a half later the widow petitioned the probate court for a widow's allowance, Mass.G.L. c. 196, § 2, and in February 1971 a decree was entered awarding her $50,000. No appeal was taken, and the payment was made. The Commissioner refused to allow a marital deduction therefor, claiming that a Massachusetts widow's allowance is contingent within the meaning of section 2056(b). Litigation followed in the Tax Court. The Commissioner was sustained, 60 T.C. 120 (1973), and the executor appeals.

Appellant's citation of cases arising out of states where a widow's allowance is a vested right is misplaced. See discussion in Hamilton Nat'l Bank of Knoxville v. United States, 6 Cir., 1965, 353 F.2d 930. In Massachusetts the widow must survive the date of the decree of allowance. Adams v. Adams, 1845, 10 Metc. (51 Mass.) 170. This is consistent with its purpose, which is "to provide for the necessities of the widow for such a period after the death of her husband as will give her an opportunity to adjust herself to her new condition." Hooker v. Porter, 1930, 273 Mass. 316, 173 N.E. 588. Obviously, if she does not survive, she will not need the payment —a payment so special that it takes precedence even over creditors. Mass.G.L. c. 196, § 2. Since, viewed as of the date of the husband's death, the payment is contingent, it does not qualify for the marital deduction. Jackson v. United States, 1964, 376 U.S. 503, 84 S.Ct. 869, 11 L.Ed.2d 871.

The limited nature of a widow's allowance in Massachusetts compels a further conclusion in the case at bar, viz., that the award of $50,000, both as to amount and as to the date applied for, could not qualify as a bona fide widow's allowance within the Massachusetts statute. "This allowance is . . . merely to furnish her with a reasonable maintenance for a few weeks, . . . always . . . of small amount," Dale v. Hanover Nat'l Bank, 1891...

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8 cases
  • Aerojet-General Corp. v. Askew
    • United States
    • U.S. Court of Appeals — Fifth Circuit
    • April 21, 1975
    ... ... Helvering, 291 U.S. 35, 45, 54 S.Ct. 308, 312, 78 L.Ed. 634 (1934). See Stallworth's Estate v. Commissioner of Internal Rev., 5 Cir., 1958, 260 F.2d 760, 763; Saulsbury v. United States, 5 r., 1952, 199 F.2d 578, 580; In re Estate of Abely, 1 Cir., 1974, 489 F.2d 1327, 1328; Pierpont v. C.I.R., 4 Cir., 1964, 336 F.2d 277, 281; Peyton's ... ...
  • Watson v. Comm'r of Internal Revenue (In re Estate of Watson), Docket No. 31911-85.
    • United States
    • U.S. Tax Court
    • March 1, 1990
    ... ... Jackson v. United States, 376 U.S. 503, 508 (1964); Estate of Radel v. Commissioner, 88 T.C. 1143, 1146 (1987); Estate of Abely v. Commissioner, 60 T.C. 120, 123 (1973), affd. 489 F.2d 1327 (1st Cir. 1974); see also Estate of Snider v. Commissioner, 84 T.C. 75, 79 (1985). The ... ...
  • Estate of Hatchett v. Commissioner
    • United States
    • U.S. Tax Court
    • November 29, 1989
    ... ... Commissioner v. Estate of Bosch 67-2 USTC ¶ 12,472, 387 U.S. 456 (1967); Estate of Abely v. Commissioner Dec. 31,947, 60 T.C. 120, 123 (1973), affd. 74-1 USTC ¶ 12,971 489 F.2d 1327 (1st Cir. 1974). In the instant case, we must look to ... ...
  • Walsh v. Comm'r of Internal Revenue (In re Estate of Walsh)
    • United States
    • U.S. Tax Court
    • June 15, 1998
    ... ... Sec.2056(b) (1); Estate of Abely v. Commissioner, 60 T.C. 120, 122 (1973), affd. 489 F.2d 1327 (1st Cir.1974); see also Estate of Cunha v. Commissioner, 279 F.2d 292, 296 (9th ... ...
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