American Women Buyers Club, Inc. v. United States

235 F. Supp. 668, 12 A.F.T.R.2d (RIA) 6070, 1963 U.S. Dist. LEXIS 9563
CourtDistrict Court, S.D. New York
DecidedNovember 29, 1963
StatusPublished
Cited by1 cases

This text of 235 F. Supp. 668 (American Women Buyers Club, Inc. v. United States) is published on Counsel Stack Legal Research, covering District Court, S.D. New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
American Women Buyers Club, Inc. v. United States, 235 F. Supp. 668, 12 A.F.T.R.2d (RIA) 6070, 1963 U.S. Dist. LEXIS 9563 (S.D.N.Y. 1963).

Opinion

LEVET, District Judge.

This is a suit to recover $1,540.38 in refund of federal income taxes paid by the plaintiff-taxpayer, American Women Buyers Club, Inc. (hereinafter taxpayer) for the calendar year 1961. The “taxpayer’s” claim is based upon its allegation that it is exempt from federal income tax pursuant to Section 501(c) (4), Int.Rev.Code of 1954, as a civic organization “not organized for profit but operated exclusively for the promotion of social welfare.”

The case was tried to the court without a jury. After hearing the testimony of the parties, examining the exhibits, the pleadings, the briefs and the proposed findings of fact and conclusions of law submitted by counsel, this court makes the following Findings of Fact and Conclusions of Law: .

FINDINGS OF FACT

1. Taxpayer is a membership corporation organized and existing under and by virtue of the Membership Corporations Law of the State of New York. (Ex. 1A)

2. The Certificate of Incorporation of the taxpayer provides in pertinent part:

“2. The purposes for which this corporation is formed are the following:
“ (a) To promote the general good and welfare of Ready-To-Wear buyers throughout the country.
“(b) To promote, conduct and sponsor means of encouraging friendly and social intercourse among members of the Club, and among members of the buying profession generally.
“(c) To assist in maintaining a. spirit of cooperation not only among Ready-To-Wear buyers, but among-their professional associates.
“(d) To give aid and assistance to-its members in case of distress or bereavement, and to accumulate funds for that purpose.
“(e) Any benefits which shall be-conferred upon the members by the-organization, shall be wholly voluntary.” (Ex. 1A)

3. The Constitution of the American-Women Buyers Club is prefaced by the statement, “This Constitution is the personal property of the American Women Buyers Club and of the member to whom it is issued. It may not be publicly discussed nor its contents publicised.” (Ex. IB)

4. The taxpayer’s membership is open to and consists of women with at least three years experience as principal buyers of ready-to-wear accessories or kindred lines in the United States. Prospective members must meet the standards and requirements of the taxpayer, which include a lack of absenteeism on the job as well as a good reputation in the industry. (SM 4)1 Also, the prospective applicant must be under the age of 45. (SM 5)

5. Most of the members of the taxpayer are from the Metropolitan Area. (SM 6) The membership of the taxpayer comprises approximately 10'% of all the women buyers in the ready-to-wear industry in the Metropolitan Area. During the year 1961, the membership of the taxpayer numbered 222. (SM 34)

[670]*6706. Of the annual number of appli■cants for membership, approximately 15% are rejected as not meeting the .standards of membership.

7. The taxpayer’s income for the calendar year 1961 consisted of the following:

Income
Dues $ 4,230.00
Initiation 130.00
Interest on Bonds 1,285.00
Interest on Savings 1,151.52
Additional Income 1961 Journal ' 3,840.00
Less: Additional Expense 1,041.78 2,798.22
Income-1962-Journal-Estimated 15,126.00
Less: Estimated Expense 2,500.00 12,626.00
Income from Dinner 18,530.00
Less: Expenses 18,629.39 - 99.39 (LOSS)
Total Income $22,121.35

8. The taxpayer’s expenses for the calendar year 1961 consisted of the following:

Total Income Carried Forward $22,121.35
' Expenses
Unemployment Benefits $ 2,025.00
Sick Benefits 2,520.00
General Meetings 1,782.00
Board & Committee Meeting 807.37
Installation 2,326.49
Secretary 2,100.00
Welfare Committee Expense 305.72
Less: Contributions 30.00 275.72
Social Security 186.00
Stationery, Printing, Postage & Telephone 453.03
Contributions 200.00
Tax Attorney 1,000.00
Audit 150.00
Sundries 7.10
Bad Debts 190.00
Total Expenses $14,022.71
Net Surplus $ 8,098.64

The income and expenses for the year 1961 are fairly typical of receipts and expenditures in a normal year.

9. The main source of the taxpayer’s income is derived from advertisements sold to manufacturers in connection with [671]*671the publication by the taxpayer of its annual journal. (SM 10) See Finding No. 7)

10. Ten meetings for members are held during the year. (SM 33) In connection with these meetings taxpayer incurs expenses in providing refreshments for its members. (SM 35) (See Finding No. 8) In addition, board and committee meetings are held by the taxpayer. These board and committee meetings are dinner meetings, the cost of which is borne by the taxpayer. (SM 34) (See Finding No. 8) There is also an annual installation of officers, the cost of which is borne by the taxpayer. The total expense for these items in 1961 was $4,915.86.

11. The taxpayer’s activities are conducted through its board of governors, officers and committees. None of its officials receives compensation for their services. (SM 8)

12. The taxpayer pays sick benefits and unemployment benefits to members only. (SM 22) During the year 1961, $2,520 was paid by the taxpayer to 18 of its members in the form of sick benefits and $2,025 was paid by the taxpayer to 10 members in the form of unemployment benefits. (Stip.) The total amount paid in benefits during 1961, $4,545, represents the average amount which would be paid in a typical year. (SM 40-41)

13. The benefits payable to a member in any year, without approval of the general membership, are as follows: sick benefits — up to $350 during a 10-week period or, in the event the member is hospitalized, up to $450; unemployment benefits — up to $375 over a 15-week period; emergency benefits for sick or distressed members — up to $625. Any additional benefits must be approved at a meeting of the general membership. (Ex. IB)

14. The taxpayer performs services for its members. It helps members get work when they are unemployed through its Employment Committee which contacts stores and other buying offices. (SM 24, 25, 32) At its meetings the taxpayer has lectures devoted to helping members in their various positions. In addition, the taxpayer also occasionally assists its members in locating items of merchandise to fill requisitions in connection with their positions.

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

Related

Monterey Public Parking Corporation v. United States
321 F. Supp. 972 (N.D. California, 1970)

Cite This Page — Counsel Stack

Bluebook (online)
235 F. Supp. 668, 12 A.F.T.R.2d (RIA) 6070, 1963 U.S. Dist. LEXIS 9563, Counsel Stack Legal Research, https://law.counselstack.com/opinion/american-women-buyers-club-inc-v-united-states-nysd-1963.