Bausch & Lomb v. Commissioner

1996 T.C. Memo. 57, 71 T.C.M. 2031, 1996 Tax Ct. Memo LEXIS 64
CourtUnited States Tax Court
DecidedFebruary 15, 1996
DocketDocket Nos. 13983-91, 1215-92.
StatusUnpublished
Cited by1 cases

This text of 1996 T.C. Memo. 57 (Bausch & Lomb 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
Bausch & Lomb v. Commissioner, 1996 T.C. Memo. 57, 71 T.C.M. 2031, 1996 Tax Ct. Memo LEXIS 64 (tax 1996).

Opinion

BAUSCH & LOMB INCORPORATED AND CONSOLIDATED SUBSIDIARIES, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Bausch & Lomb v. Commissioner
Docket Nos. 13983-91, 1215-92.
United States Tax Court
T.C. Memo 1996-57; 1996 Tax Ct. Memo LEXIS 64; 71 T.C.M. (CCH) 2031;
February 15, 1996, Filed

*64 Decision in docket No. 13983-91 will be entered under Rule 155.

Dennis I. Meyer, C. David Swenson, A. Duane Webber, Diane S. Rohleder, J. Michael Cornett, and John W. Polk, for petitioners.
Matthew J. Fritz, Jeffrey L. Bassin, Nancy Ortmeyer Kuhn, and Judith Cavell Cohen, for respondent.
CHIECHI, Judge

CHIECHI

MEMORANDUM FINDINGS OF FACT AND OPINION

CHIECHI, Judge: Respondent determined the following deficiencies in petitioners' Federal income tax:

Taxable Year EndedDeficiency
Dec. 25, 1983$ 9,340,688
Dec. 30, 198414,947,579
Dec. 29, 19855,417,150
Dec. 28, 19866,529,257
Dec. 27, 19875,339,670

The following issues remain for decision: 1*65

(1) Does the income for each of the years at issue from the sale of sunglasses assembled 2 by Bausch & Lomb Ireland, Ltd. (B&L Ireland) and by Bausch & Lomb Hong Kong, Ltd. (B&L Hong Kong) constitute foreign base company sales income as defined in section 954(d)(1) that is includible in petitioners' gross income under section 951(a)(1)? We hold that it does not.

(2) Did respondent abuse her discretion under section 954(b)(4) by failing to exclude certain income of B&L Hong Kong from sources other than the sale of sunglasses it assembled 3 from petitioners' gross income for their taxable years ended December 25, 1983, through December 28, 1986? 4 We hold that she did not.

*66 FINDINGS OF FACT 5

*67 Some of the facts have been stipulated and are so found. 6

Bausch & Lomb Incorporated (B&L Inc.) is a corporation organized under the laws of the State of New York. At the time the petitions were filed, its principal corporate offices were located in Rochester, New York (Rochester). B&L Inc. and certain of its subsidiaries filed consolidated Federal income tax returns (Forms 1120) for the taxable years ended December 25, 1983, December 30, 1984, December 29, 1985, December 28, 1986, and December 27, 1987.

For each of the years at issue, 7 petitioners kept their books and records and filed their Federal income tax returns on the accrual method of accounting using a 52-53 week taxable year. B&L Inc. was a U.S. shareholder of B&L Ireland and of B&L Hong Kong*68 within the meaning of section 951(b), B&L Ireland and B&L Hong Kong were controlled foreign corporations (CFCs) of petitioners within the meaning of section 957(a), and B&L Ireland and B&L Hong Kong maintained their books and records on the accrual method of accounting using a 52-53 week taxable year.

B&L Inc. and Subsidiaries8

B&L traces its roots to an optical shop located in Rochester that was founded in 1853 by John J. Bausch and Henry Lomb. Prior to World War I, B&L became the first producer in the United States of optical quality glass, a vital material for military instruments, *69 that freed the United States from its dependence on European sources of such glass.

Prior to and during the years at issue, B&L manufactured and sold a wide range of optical-related products, including contact lenses, contact lens solutions, sunglasses, 9*70 binoculars, telescopes, and scientific instruments (e.g., microscopes). 10 Prior to the years at issue, B&L manufactured and sold prescription eyeglasses. Prescription eyeglasses are a separate and distinct product from noncorrective sunglasses. Prescription eyeglasses contain individually finished, corrective lenses, are tailored for a specific prescription and to fit an individual face, and are assembled by retail optical shops. In contrast, sunglasses have noncorrective lenses, are tailored to fit a standard face, and are assembled prior to reaching the retailers. B&L discontinued its prescription eyeglasses product line during 1981. As of 1987, B&L performed manufacturing or marketing operations in 25 countries and its products were distributed in over 70 countries.

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1996 T.C. Memo. 57, 71 T.C.M. 2031, 1996 Tax Ct. Memo LEXIS 64, Counsel Stack Legal Research, https://law.counselstack.com/opinion/bausch-lomb-v-commissioner-tax-1996.