Berger Engineering Co. v. Commissioner

1961 T.C. Memo. 292, 20 T.C.M. 1518, 1961 Tax Ct. Memo LEXIS 57
United States Tax Court·Decided October 24, 1961·No. Docket No. 65321.·Unpublished·Cited by 2 cases

Opinion

Berger Engineering Company v. Commissioner.
Berger Engineering Co. v. Commissioner
Docket No. 65321.
United States Tax Court
T.C. Memo 1961-292; 1961 Tax Ct. Memo LEXIS 57; 20 T.C.M. (CCH) 1518; T.C.M. (RIA) 61292;
October 24, 1961
R. J. Cleary, Esq., Farmers Bank Bldg., Pittsburgh, Pa., and Albert A. Logan, Esq., for the petitioner. Leo A. Burgoyne, Esq., for the respondent.

TIETJENS

Memorandum Findings of Fact and Opinion

TIETJENS, Judge: The Commissioner determined a deficiency in income tax for the year 1953 in the amount of $65,209.41. The first question presented is whether petitioner reported its gross income*58 from a long-term contract so as to reflect clearly its net income from such contract for 1953. The second question to be decided is what is the amount of the net operating loss deduction, if any, to which petitioner is entitled for 1953.

Findings of Fact

Some of the facts have been stipulated and are incorporated herein by reference.

Petitioner is a corporation organized and existing under the laws of the Commonwealth of Pennsylvania, with its principal place of business in Pittsburgh. Petitioner filed its Federal income tax returns for the years 1953 to 1955 under an accrual method of accounting with the district director of internal revenue at Pittsburgh.

John N. Berger was president and treasurer of petitioner from the time of its formation through 1955. The success of petitioner was directly attributable to Berger as those dealing with petitioner did so because of Berger's engineering knowledge, skill and ability.

In 1953 petitioner entered into an agreement with Houdaille-Hershey Corporation, Macon Arms Division, for tools and other items of equipment to produce automatically 8-inch shell forgings. The total price under the agreement was $595,000. The tools and other*59 items of equipment to be furnished and the prices therefor, were as follows:

Item of EquipmentContract Price
Motor-operated Billet Rack$ 21,000
Motor-driven Feed Table18,000
Furnace Run-In Table27,000
Two Furnace Discharge Tables
($7,000 each)14,000
Billet Conveyor Table10,000
Billet Up-ender and Billet Charging
Manipulator25,000
Shell Handling Equipment65,000
Set of Slugging and Piercing Tools75,000
Set of Piercing Tools70,000
Set of Hot Sizing Tools80,000
Set of Cold Sizing Tools75,000
Water Cooling and Lubrication10,000
High Pressure Water Descaling
System6,000
Foundation Bolt Plan and Eleva-
tions4,000
Two Tool Slide Indices for Piercing
Presses ($18,000 each)36,000
Two Bolster Plates for Piercing
Presses ($5,000 each)10,000
Tool Slide Index for Hot Shell Siz-
ing Press17,000
Handling Equipment at the Cold
Sizing Press32,000
$595,000

Petitioner was engaged in the performance of this agreement during the years 1953, 1954, 1955 and 1956. Under the terms of the agreement, progress invoices covering 75 percent of 25 percent of work completed on any particular item were to be sent by petitioner to Macon*60 Arms until 75 percent of any particular item had been completed, after which 10 percent of the contract price for a particular item was to be invoiced at the time of shipment and the balance of 15 percent when it had been completed.

The billings and cash receipts under the agreement for each of the years 1953 to 1956 were as follows:

1953195419551956
Billings$334,687.50$260,312.50
Cash Receipts334,687.50210,218.75$36,093.75

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

Berger Engineering Co. v. Commissioner, 1961 T.C. Memo. 292, 20 T.C.M. 1518, 1961 Tax Ct. Memo LEXIS 57 (tax 1961).

1961 T.C. Memo. 292 (Berger Engineering Co. v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related