American Lithofold Corp. v. Commissioner

55 T.C. 904, 1971 U.S. Tax Ct. LEXIS 172
CourtUnited States Tax Court
DecidedMarch 16, 1971
DocketDocket No. 3855-63
StatusPublished
Cited by35 cases

This text of 55 T.C. 904 (American Lithofold Corp. 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
American Lithofold Corp. v. Commissioner, 55 T.C. 904, 1971 U.S. Tax Ct. LEXIS 172 (tax 1971).

Opinion

Hoyt, Judge:

Respondent determined deficiencies in petitioner’s income tax for the years 1950 and 1951 in the respective amounts of $78,187.09 and $181,244.66 and determined additions to tax under section 293 (b) of the 1939 Internal Revenue Code1 for the years 1950 and 1951 in the respective amounts of $39,093.55 and $201,314.74. In an amendment to his answer the respondent claimed an increased deficiency in income tax and an increased addition to tax for 1950 in the respective total amounts of $85,259.66 and $42,629.83. The increased deficiency for 1950 resulted from a change in position by respondent in his adjustment of a deduction item for the year 1949 which had the effect of reducing the net operating loss deduction for 1950 and, correspondingly, increasing the deficiency in income tax for that year. However, respondent at the trial conceded the 1949 deduction item and it is no longer before us.

In the amendment to his answer the respondent also claimed an increase deficiency in income tax for 1951 in the total amount of $209,-752.50 based upon the correction of mathematical errors made in the computation of the tax deficiency for that year in the statutory notice of deficiency. Respondent in his amended answer also corrected a mathematical error made in the statutory notice of deficiency in computing the addition to tax under section 293(b) for 1951 and claimed a corrected amount of $104,876.25 as an addition to tax for that year.

The issues remaining for decision are (1) whether petitioner overstated its cost of carbon paper purchased from the American Carbon Paper Corp. in the years 1950 and 1951 in the respective amounts of $44,478.13 and $101,621.43; (2) whether petitioner is entitled to deduct as ordinary and necessary business deductions under section 23 (a) (1) certain travel expenses incurred by Robert J. Blauner in 1951 and 1952 in the respective amounts of $29,142.32 and $11,110.84; (3) whether petitioner is entitled to deduct as ordinary and necessary business expenses under section 23(a) (1) certain purported compensation payments to Karen K. Taylor in 1951 and 1952 in the respective amounts of $7,000 and $8,125; (4) whether petitioner is entitled to deduct as ordinary and necessary business expenses under section 23 (a) (1) certain payments made to the Machinery Development Co. in 1949, 1950, 1951, and 1952 in the respective amounts of $14,547, $12,-636, $18,636, and $12,636; (5) whether any part of the deficiency for each of the years 1950 and 1951 is due to fraud with intent to evade tax within the meaning of section 293(b); and (6) whether the years 1950 and 1951 are barred by the statute of limitations.

Petitioner lias conceded several other issues raised by the pleadings and effect will be given to such concessions in the Rule 50 computation. Respondent’s adjustments to petitioner’s income for 1949 and 1952 are here involved because of their effect on the net operating loss deductions claimed by petitioner for the years 1950 and 1951.

FINDINGS OK PACT

Some of the facts were stipulated and they are herein included by this reference.

American Lithofold Corp., hereinafter called the petitioner, was organized in 1936 under the laws of Missouri. It filed its corporation income tax returns on an accrual basis for the years 1949 through 1952 with the then collector of internal revenue at St. Louis, Mo. Its principal place of business was in St. Louis, Mo. Throughout the years here involved the petitioner was engaged in the business of manufacturing and selling two principal types of business forms. One type, known as the litho set or snap out, consists of several leaves of record paper interleafed with one-time carbon paper. The second type is known as a continuous form which may contain many parts inter-leafed with one-time carbon paper and has marginally punched form-feeding holes.

American Carbon Paper Corp., hereinafter called American Carbon, was organized in 1943 under the laws of Illinois. Its principal place of business was in Chicago, Ill. Throughout the years here involved American Carbon was principally engaged in the business of manufacturing and selling one-time carbon paper which printers interleaf into business forms. It also manufactured and sold typewriter ribbons, boxed carbons, and related products. During the years here involved between 80 percent and 90 percent of the sales of American Carbon were to petitioner.

During the years 1949 through 1952 Robert J. Blaimer and Antoinette E. Blauner were husband and wife. They had two children, Robert A. Blauner and Emlee B. Bridell. Robert J. Blauner died on June 4,1966. During the years 1949,1950, and part of 1951 Robert A. Blauner and Lorraine Blauner were husband and wife. They had two children, Robert A. Blauner, Jr., and Sally Blauner. Lorraine filed suit for divorce in March or April 1951 and the divorce was granted in September 1951. During the years 1949 through 1952 Albert M. Bridell and Emlee B. Bridell (Robert J. Blauner’s daughter) were husband and wife. They had three children, Emlee Lorraine, Jessamine, and Robert.

In 1949 and 1950 W. F. Leschen (then the father-in-law of Robert A. Blauner) was president of the petitioner corporation and Robert J. Blauner was vice president and general manager. Robert J. Blau-ner became president of petitioner some time in 1951 and continued as president until his death in 1966. During the years 1949 through 1952 Albert M. Bridell was president of American Carbon and Robert J. Blauner was treasurer.

As of December 31,1949,1950, and 1951, the petitioner corporation had common stock outstanding in the respective amounts of 4,103 shares, 4,108 shares, and 4,108 shares held by the following stockholders:

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As of December 31, 1949 through 1952, the common stock shareholders of American Carbon were as follows:

Shares
A. M. and Emlee Bridell_ 26, 800
R. J. and Antoinette E. Blauner_17,200
R. J. Blauner, trustee ior the children of A. M. and Emlee Bridell- 6,000
R. J. Blauner, trustee for the children of R. A. and Lorraine Blauner- 4, 000
R. A. Blauner_ 500
Total shares. 54,500

During World War II the petitioner’s principal customer was the IJ.S. Government. Most of the Government business came from petitioner’s Washington, D.C., office and some of it came through petitioner’s New York office. Both of these sales offices were under the management of Robert A. Blauner who was at that time a vice president of petitioner and its eastern division sales manager. Late in 1948 R. A. Blauner left the employ of petitioner but returned as eastern division sales manager in 1949 after an absence of about 6 months.

Petitioner’s net sales for the years 1945 through 1951 and the portion of the net sales represented by Government sales during the same period were as follows:

Year Net sales Government sales
1945_$3,236,136.98 $2, 669, 000. 00
1946_ 3, 014, 975. 98 2, 275, 518. 34

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Bluebook (online)
55 T.C. 904, 1971 U.S. Tax Ct. LEXIS 172, Counsel Stack Legal Research, https://law.counselstack.com/opinion/american-lithofold-corp-v-commissioner-tax-1971.