A. R. Ruppert Plumbing & Heating Co. v. Commissioner

39 T.C. 284, 1962 U.S. Tax Ct. LEXIS 41
CourtUnited States Tax Court
DecidedOctober 31, 1962
DocketDocket No. 84497
StatusPublished
Cited by5 cases

This text of 39 T.C. 284 (A. R. Ruppert Plumbing & Heating Co. v. Commissioner) is published on Counsel Stack Legal Research, covering United States Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
A. R. Ruppert Plumbing & Heating Co. v. Commissioner, 39 T.C. 284, 1962 U.S. Tax Ct. LEXIS 41 (tax 1962).

Opinion

OPINION.

Arundell, Judge:

Respondent determined a deficiency in income tax for the fiscal year ending September 30, 1954, in the amount of $16,291.34. Instead of a deficiency petitioner claims an overpayment in the amount of $4,544.83.

The only issue is whether income earned by a subsidiary corporation which filed a consolidated income tax return with its parent corporation (petitioner herein) can be offset by a net operating loss deduction resulting from the carrying over of net operating losses incurred by petitioner in taxable years during which the subsidiary corporation was not yet in existence.

The facts were stipulated and are so found.

Petitioner is a closely held corporation which was organized and incorporated under the laws of the State of Nevada on September 27, 1948. Its principal place of business is in Las Vegas, Nevada. On December 15,1954, petitioner and its subsidiary hereinafter mentioned filed a consolidated corporate income and excess profits tax return for the fiscal year ended September 30,1954, with the district director of internal revenue at Keno, Nevada.

During the taxable years herein involved, petitioner kept its books and filed its annual income tax returns on the basis of a fiscal year commencing on October 1 and ending on September 30.

Petitioner’s principal activity since September 27, 1948, has been the conducting of a plumbing and heating contracting business.

During the fiscal years ended September 30, 1949, and September 30, 1950, petitioner incurred net operating losses in the amounts of $56,978.30 and $67,702.92, respectively. Petitioner filed separte income tax returns for the fiscal years ended September 30, 1949, and September 30, 1950, reporting such net operating losses, respectively.

Prior to September 30,1950, the stockholders of petitioner were desirous of obtaining covering from a bonding company on certain anticipated business ventures. Because of the poor financial condition of petitioner, the stockholders felt that petitioner could not obtain bonding coverage.

On October 1,1950, Euppert Plumbing Co., Inc. (hereinafter sometimes referred to as the subsidiary), was organized and incorporated under the laws of the State of Nevaáa. In exchange for all of the subsidiary’s stock, petitioner transferred to the subsidiary certain of petitioner’s assets, including certain inventory items, land, and machinery.

Since October 1,1950, and during the taxable years herein involved the subsidiary has kept its books on the basis of a fiscal year commencing on October 1 and ending on September 30. For each of the fiscal years ending September 30, 1951, through September 30, 1956, the subsidiary has been a member of an affiliated group of corporations consisting of petitioner and itself and, for each of said fiscal years, the subsidiary has joined with petitioner in the filing of a consolidated income tax return.

The subsidiary’s principal activity since October 1, 1950, has been the conducting of a plumbing and heating contracting business in and around the vicinity of Las Vegas, Nevada.

Since October 1, 1950, petitioner and the subsidiary have continued to conduct their respective business activities throughout their respective fiscal years to and including the fiscal year ended September 30,1956.

During the fiscal year ended September 30,1951, petitioner earned net income, before any net operating loss deduction, of $26,853.50. For the same taxable period the subsidiary earned net income, before any net operating loss deduction, of $18,475.18. On their consolidated income tax return for tbe taxable year, tbe corporations reported consolidated net income, before any net operating loss deduction, of $45,828.68. Against said consolidated net income, tbe corporations claimed a consolidated net operating loss deduction of $124,681.22, which deduction represented tbe carrying over of the net operating losses of petitioner for tbe 2 preceding years. As the result of tbe application of the claimed consolidated net operating loss deduction, tbe corporations reported no consolidated taxable net income and paid no income tax for tbe fiscal year ended September 30, 1051.

During tbe fiscal year ended September 30, 1952, petitioner incurred a net loss, before any net operating loss deduction, of $7,828.17. For the same taxable period, the subsidiary earned net income, before any net operating loss deduction, of $82,003.83. On their consolidated income tax return for said taxable year, the corporations reported consolidated net income, before any net operating loss deduction, of $74,175.06 ($82,003.88 minus $7,828.77). Against the consolidated net income the corporations claimed a consolidated net operating loss deduction in the amount of $79,352.54, which deduction represented the carrying over of the net operating loss of $67,702.92 sustained by petitioner during the fiscal year ended September 30, 1950, and the unused portion ($11,649.62) of the net operating loss of $56,978.30, sustained by petitioner during the fiscal year ended September 30, 1949, which had not been absorbed by the consolidated net income of $45,328.68 earned during the fiscal year ended September 30, 1951. As the result of the application of the claimed consolidated net operating loss deduction, the corporations reported no consolidated taxable net income and paid no income tax for the fiscal year ended September 30,1952.

During the fiscal year ended September 30,1953, petitioner incurred a net loss, before any net operating loss deduction, of $32,324.33. For the same taxable period the subsidiary incurred a net loss, before any net operating loss deduction, of $87,442.39. During the same taxable period, the corporations realized consolidated net capital gain of $60,160.25. On their consolidated income tax return for said taxable year, the corporations reported a consolidated net operating loss, before any net operating loss deduction, of $59,606.47 ($32,324.33 plus $87,442.39 minus $60,160.25).

During the fiscal year ended September 30, 1954, which is the taxable year herein involved, petitioner and its subsidiary earned consolidated net income, before any net operating loss deduction, of $106,898.86. Against that income the corporations claimed a net operating loss deduction of $64,832.25, which deduction allegedly represented the carrying over of the consolidated net operating loss in the amount of $59,606.47 sustained during the fiscal year ended September 30, 1953, and tibe unnsed portion ($5,177.48) of the net operating loss of $67,702.92, sustained by the parent corporation during the fiscal year ended September 30, 1950, which had not been absorbed when applied against consolidated net income earned during the fiscal year ended September 30,1952. The sum of the claimed carryovers which composed the claimed consolidated net operating loss deduction is actually $64,783.95 ($59,606.47 plus $5,177.48) rather than $64,832.25 as was claimed on the return. The difference of $48.30 resulted from a mathematical error.

On their consolidated income and excess profits tax return for the fiscal year ended September 30, 1954, after deducting the claimed net operating loss deduction, petitioner and its subsidiary reported consolidated taxable net income in the amount of $42,066.61 ($106,-898.86 minus $64,832.25).

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Nibur Bldg. Corp. v. Commissioner
54 T.C. 835 (U.S. Tax Court, 1970)
Foster v. Commissioner
1966 T.C. Memo. 273 (U.S. Tax Court, 1966)
Calvin v. United States
235 F. Supp. 594 (D. Colorado, 1964)

Cite This Page — Counsel Stack

Bluebook (online)
39 T.C. 284, 1962 U.S. Tax Ct. LEXIS 41, Counsel Stack Legal Research, https://law.counselstack.com/opinion/a-r-ruppert-plumbing-heating-co-v-commissioner-tax-1962.