Barnes v. United States

22 F. Supp. 282, 20 A.F.T.R. (P-H) 854, 1938 U.S. Dist. LEXIS 2404
CourtDistrict Court, E.D. Pennsylvania
DecidedJanuary 25, 1938
Docket19208
StatusPublished
Cited by6 cases

This text of 22 F. Supp. 282 (Barnes v. United States) is published on Counsel Stack Legal Research, covering District Court, E.D. Pennsylvania primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Barnes v. United States, 22 F. Supp. 282, 20 A.F.T.R. (P-H) 854, 1938 U.S. Dist. LEXIS 2404 (E.D. Pa. 1938).

Opinion

MARIS, District Jüdge.

This is a suit under the Tucker Act, 28 U.S.C.A. § 41 (20), to recover income tax alleged to have been erroneously paid by the plaintiff for the year 1932. From the evidence I make the following special findings of fact:

The plaintiff, who is a resident of Devon,'Chester county, Pa., in the year 1932 owned 1,000 shares of stock of Westmoreland, Inc., and received dividends thereon during the year 1932 in the sum of $1,400.

Westmoreland, Inc. (hereinafter called the new company), was organized on June 3, 1929, in connection with a nontaxable reorganization of the Westmoreland Coal Company (hereinafter called the old company). In the reorganization, which took' place as of July 1, 1929, the old company transferred to the new company approximately 60 per cent, of its net assets, and the new company issued its entire capital stock, consisting of 200,000 shares without par value, to the stockholders of the old company pro rata. At the same time the old company converted its outstanding capital stock, consisting of 200,000 shares of the par value of $50 each, into an equal number of shares without par value, but having a stated value of $25 each. As a result of the reorganization the shareholders of the old company received in exchange for each share of the par value of $50 which they held, one share of stock of the new company without par value and one share of stock of the old company without par value.

On July 1, 1929,' prior to the transfer to the new company, the old company had earnings or profits accumulated subsequent to February 28, 1913, but undistributed though available for distribution, in excess of $2,058,000, leaving out of account a stock dividend of $2,500,000 which had been distributed in 1923. These accumulated earnings were not shown on the books of the old company, however. The old company continued in business after the reorganization and on December 31, 1929, it had a book surplus of $1,528,-320.75. During the years 1930, 1931, and 1932, the old company earned $36,479.26, and paid dividends totaling $195,115.

The assets tranferred to the new company amounted to $10,105,608.12, made up as follows:

Cask § 589,459.32
Accounts receivable 370,Q0
Bonds of various States 365,642.00
Bonds of-the United States 863,885.63
Bonds of domestic corporations 45,865.00
Prepaid insurance 21.16
Land "8,101,076.90
Buildings §2,624.46
Less reserve for depreciation 131.22 * 2,493.24
Treasury stock 27,844.45
Accrued interest receivable 8,950.42
§10,105,608.12

As of July 1, 1929, the old company transferred to the new company which assumed and entered on its books liabilities amounting to $9,320.42. Of the excess of the assets over the liabilities so transferred, in other words, its net worth, amounting on July 1, 1929, to $10,096,287.70, $2,-000,000.00 was credited on its books to the stated- capital applicable to ‘ its 200,000 shares of stock, $4,201,526.75 was credited to “Coal land appreciation,” and $3,894,-760.95 was credited to “Transferred surplus.” Of the sum last mentioned, $894,-760.95 represented surplus transferred to the new company on the books of the old company.

From June 3, 1929, to October 1, 1931, inclusive, the new company earned $95,- *283 806.95 and paid dividends totaling $888,-466.60. On January 1, 1932, the undistributed profits of the new company earned by it since February 28, 1913 (in fact all earned since October 1, 1931), amounted to $12,685.08. Between January 1, 1932, and October 1, 1932, the new company earned profits of $32,084.91. These earnings or profits aggregating $44,769.99 were all distributed as part of dividends paid in 1932 on January 2, April 1, July 1, and October 1, which dividends amounted in all to $268,953.80. The balance of these dividends, amounting to $224,183.81, were charged against the transferred surplus account of the new company hereinabove described. Of the dividends amounting to $1,400 received by the plaintiff from the new company in 1932, 16.65 per cent., or $233.10, was paid from profits of the new company earned by it since February 28, 1913, and 83.35 per cent., or $1,166.90, was paid from the transferred surplus account of the new company hereinabove described.

On March 14, 1933, plaintiff filed his income tax return for the year 1932, including therein as dividends received from the new company the sum of $223.80. The plaintiff did not include in his gross income the balance of said dividends amounting to $1,176.20. Upon the audit of his return the Commissioner ruled that the entire amount of the dividend, $1,400, was taxable as such. He accordingly determined a deficiency against the plaintiff in the sum of $498.65, which, together with interest of $45.94, was assessed against the plaintiff and paid by him on October 5, 1934. On March 28, 1935, plaintiff filed a claim for the refund of the sum of $544.59 so paid by him, which the Commissioner rejected on June 19, 1935. The plaintiff thereafter brought the present suit.

Other facts which may be material appear in the stipulation of facts filed by the parties which is incorporated herein by reference.

Discussion.

The question presented by these facts is whether, in the nontaxable reorganization of 1929, 60 per cent, of the post 1913 accumulated earnings of the old company were transferred to the new company so as to constitute its earnings within the meaning of section 115 (a) of the Revenue Act of 1932, 26 U.S.C.A. § 115 (a) and note. The section in question provides that: “The term ‘dividend’ * * * means any distribution made by a corporation * * * out of its earnings or profits accumulated after February 28, 1913.”

If such accumulated profits of the old company, amounting to more than $1,234,-800, were transferred to the new company and became its earnings and profits, it necessarily follows from the facts of the case that all the dividends received by the plaintiff in 1932 were paid out of the earnings or profits of the new company, and were, therefore, fully taxable as dividends. If, on the other hand, no part of the accumulated earnings of the old company became earnings or profits of the new company, then only 16.65 per cent, of the dividends received by the plaintiff from the new company in 1932, or $233.10, represented taxable dividends paid out of profits, and the balance of the dividends, amounting to $1,166.90, must be held to represent a distribution not out of profits which, under paragraph (d) of section 115 of the Revenue Act, 26 U.S.C.A. § 115 (d), and note, is to be applied in reduction of the cost basis of the stock.

Were a portion of the accumulated earnings of the old company transferred in the reorganization to the new company so as to become its earnings for dividend purposes? If this question were open I would, in accord with the views ably expressed by Member Lansdon of the Board of Tax Appeals in his dissenting opinion in Crocker v. Commissioner, 29 B.T.A. 773, 778, be inclined to answer it in the negative.

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Bluebook (online)
22 F. Supp. 282, 20 A.F.T.R. (P-H) 854, 1938 U.S. Dist. LEXIS 2404, Counsel Stack Legal Research, https://law.counselstack.com/opinion/barnes-v-united-states-paed-1938.