American Creosoting Co. v. Commissioner

12 B.T.A. 247, 1928 BTA LEXIS 3573
CourtUnited States Board of Tax Appeals
DecidedMay 31, 1928
DocketDocket No. 17777.
StatusPublished
Cited by5 cases

This text of 12 B.T.A. 247 (American Creosoting Co. v. Commissioner) is published on Counsel Stack Legal Research, covering United States Board of Tax Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
American Creosoting Co. v. Commissioner, 12 B.T.A. 247, 1928 BTA LEXIS 3573 (bta 1928).

Opinion

Smith:

This proceeding involves only the determination of preliminary issues relating to the jurisdiction of the Board and to the bar of the statute of limitations against the assessment and collection of deficiencies due from the petitioners. There is no dispute concerning the facts pertinent to these issues.

During the years 1918 and 1919, the American Creosoting Co., Inc., was affiliated with the Federal Creosoting Co., Inc., the Indiana Creosoting Co., Inc., the Shreveport Creosoting Co., Inc., the Colonial Creosoting Co., Inc., and the Georgia Creosoting Co., Inc. After the fifing of tentative returns in March, 1919, covering operations for the calendar year 1918, the above-named companies filed, on June 14, 1919, a consolidated return on Form 1120 in the name of “American Creosoting Co. and affiliated corporations,” indicating a total tax of $65,830.70. With this consolidated return each subsidiary company filed a return on Form 1122, as provided by the regulations of the department showing the portion of the total tax due from the entire group owed by each. This allocation was in accordance [248]*248with the net incomes of the several corporations. The taxes shown to be due were paid at the regular installment dates by checks of the American Creosoting Co., Inc., which in turn charged against the various affiliated corporations the amounts of tax owed by them.

On March 13, 1920, the above-named corporations filed a consolidated return for the calendar year 1919 on Form 1120 in the name of “American Creosoting Co., and affiliated corporations,” indicating a total tax of $57,522.31. With this return and as a part thereof were filed a schedule entitled “ Schedule of names and addresses of affiliated corporations and amounts of tax allocated to each ” and a schedule entitled “ Schedule M: reconciliation of net profit as shown by books of taxable net income.” On said schedules the taxable net income and tax of each company on the basis of the consolidated return was clearly set forth. Furthermore, each subsidiary corporation filed a return on Form 1122, as provided by regulations of the Commissioner, and approved by the Secretary of the Treasury, showing the amount of the tax apportioned to it on the basis of its taxable net income. These taxes were assessed by the Commissioner in the name of “American Creosoting Co., Inc., and subsidiary corporations.” They were paid at the regular installment due dates by checks of the American Creosoting Co., Inc., which in turn was reimbursed by the various affiliated companies oh the amounts of tax shown on the various schedules to be due from them.

On July 14, 1921, an amended consolidated return was filed for the calendar year 1919, disclosing an additional tax of $51,502.21, which was paid on September 26, 1921, by check from the American Ci’eosoting Co., Inc., which in turn received reimbursement for the amounts due from each of the affiliated companies on the basis of their respective net incomes.

The taxable net incomes and amounts of taxes paid by each of the affiliated companies under the original and amended returns for 1919 are shown by the following table:

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On the basis shown above, the American Creosoting Co., Inc., has paid $9,670.47 income and profits taxes for the taxable year 1919.

[249]*249In March, 1924, the Commissioner made assessments against the American Creosoting Co., Inc., as follows:

1918, additional tax_$7,378.06
1919, additional tax_ 46, 651. 59

Notices and demand for payment of these additional taxes were received by the American Creosoting Co., Inc., on April 25, 1924. No payment has ever been made on these additional assessments and no claims in abatement or bonds have ever been filed with the collector or with the Treasury Department with respect thereto. The additional taxes covered by the March, 1924, assessments represent part of the deficiencies involved in these proceedings.

On April 23, 1926, the Commissioner mailed a deficiency notice reading in part as follows:

American Creosoting Company,
⅛01 West Main Street, Louisville. Kentucky.
Sirs :
An examination of your income and profits tax returns and those of your affiliated companies discloses a deficiency in tax for the year 1919 of $34,672.58, and overassessments for the years 1917 and 1918 aggregating $12,759.25 as shown in the attached statement and accompanying schedules.

The statement referred to shows for the year 1918, a net over-assessment, including the original assessment of $65,830.70 and the additional assessment of $7,378.06 made in March, 1924, of $4,973.68, and for the year 1919, an additional assessment of $34,672.58 over and above the $57,522.31 assessed upon the original return, the $51,502.21 assessed upon the amended return, and the additional $46,651.59 assessed in March, 1924.

On the basis of the assessment made in 1924 and the deficiency notice of April 23, 1926, the Commissioner asserted the following deficiencies against the American Creosoting Co., Inc., for the years 1918 and 1919:

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No additional assessments for 1918 or 1919 have been made by the Commissioner against any of the other corporations which joined in the filing of the consolidated returns nor have any deficiency notices been mailed to any of said corporations covering taxes for 1918 or 1919.

On January 26, 1925, a waiver or consent was signed by the “American Creosoting Co., Inc., and subsidiary corporations ” ex[250]*250tending the time for assessment of any additional taxes due for the years 1917,1918, and 1919 to December 31, 1925.

On November 21, 1925, the American Creosoting Co., Inc., signed and filed with the Commissioner a waiver of the “time prescribed by law for making any assessment ” of taxes under any return for the years 1918 and 1919, with the following notation:

This waiver of the time for making any assessment as aforesaid shall remain in effect until December 31, 1926, and shall then expire except that if a notice of deficiency in tax be sent to the taxpayer by registered mail before said date and (1) no appeal is filed therefrom with the United States Board of Tax Appeals, then said date shall be extended sixty days or (2) if an appeal is filed with said Board then said date shall be extended by the number of days between the date of mailing- of said notice of deficiency and the date of the final decision of the Board.

On December 31, 1926, a waiver or consent was filed by the “ Shreveport Creosoting Co.,” extending the time for the assessment of any taxes “ due under any return made by or on behalf of said taxpayer for the years 1909 to 1919, inclusive,” to December 31, 1926.

No payments have ever been made on the additional assessments made against the American Creosoting Co., Inc., and no claims in abatement or bonds have ever been filed by the American Creosoting Co., Inc., or by any of the subsidiary corporations. No distraint or proceeding in court has ever been begun for the collection of any part of such taxes.

On June 21, 1926, the petitioners filed an appeal with the Board from the deficiency notice of April 23, 1926. The petition reads in part as follows:

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American Creosoting Co. v. Commissioner
12 B.T.A. 247 (Board of Tax Appeals, 1928)

Cite This Page — Counsel Stack

Bluebook (online)
12 B.T.A. 247, 1928 BTA LEXIS 3573, Counsel Stack Legal Research, https://law.counselstack.com/opinion/american-creosoting-co-v-commissioner-bta-1928.