Book Production Industries, Inc. v. Commissioner

1965 T.C. Memo. 65, 24 T.C.M. 339, 1965 Tax Ct. Memo LEXIS 265
CourtUnited States Tax Court
DecidedMarch 25, 1965
DocketDocket Nos. 2410-62, 2571-62, 2817-62 and 2849-62.
StatusUnpublished
Cited by2 cases

This text of 1965 T.C. Memo. 65 (Book Production Industries, Inc. 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
Book Production Industries, Inc. v. Commissioner, 1965 T.C. Memo. 65, 24 T.C.M. 339, 1965 Tax Ct. Memo LEXIS 265 (tax 1965).

Opinion

Book Production Industries, Inc. v. Commissioner. John F. Cuneo v. Commissioner. John F. Cuneo and Julia S. Cuneo v. Commissioner.
Book Production Industries, Inc. v. Commissioner
Docket Nos. 2410-62, 2571-62, 2817-62 and 2849-62.
United States Tax Court
T.C. Memo 1965-65; 1965 Tax Ct. Memo LEXIS 265; 24 T.C.M. (CCH) 339; T.C.M. (RIA) 650065;
March 25, 1965
John Enrietto, 135 S. LaSalle St., Chicago, Ill., and Frank C. Niswander, for the petitioners. Theodore W. Hirsh, for the respondent.

MULRONEY

Memorandum Findings of Fact and Opinion

MULRONEY, Judge: Respondent determined deficiencies in income tax against Middle States Development and Equipment Company (hereinafter sometimes called Middle States) as follows:

Fiscal Year
Ended
January 31Deficiency
1954$ 52,077.89
195563,131.29
19562,047,048.78
195736,933.09
In Docket No. 2410-62 respondent determined that Book Production Industries, Inc. was liable*268 as transferee of the assets of Middle States for $1,439,215.47 (plus interest) of the above deficiency. In Docket No. 2571-62 respondent determined that John F. Cuneo was liable as transferee of the assets of Middle States in the amount of $2,199,191.05 (plus interest).

In Docket No. 2817-62 respondent determined a deficiency in the income tax of Book Production Industries, Inc. for 1956 in the amount of $378,603.68. In an amendment to his answer the respondent claimed an additional deficiency of $221,325 in the income tax of Book Production Industries, Inc. for 1956.

In Docket No. 2849-62 respondent determined a deficiency in the income tax of John F. Cuneo and Julia S. Cuneo for 1956 in the amount of $3,724,756.57.

The issues in these consolidated cases are as follows: (1) whether Middle States was completely liquidated within the meaning of section 337 of the Internal Revenue Code of 1954, 1 or whether the liquidation was a step in a reorganization within the meaning of section 368(a)(1)(F); (2) whether Babcock Printing Press Corporation was properly included by Middle States as an affiliate within the meaning of section 141 of the Internal Revenue*269 Code of 1939 and sections 1501 and 1502 of the Internal Revenue Code of 1954 for the taxable years ended January 31, 1954 through 1957; (3) whether certain advances and payments by Middle States to or for the account of Babcock Printing Press Corporation are deductible as worthless or partially worthless business bad debts under section 166 in the taxable years ended January 31, 1956 and 1957; (4) whether the operating loss of Mellody Mills, Inc. for 1956 in the amount of $95,188.75 was properly includable in computing the consolidated net income of Book Production Industries, Inc. and its affiliates for that year; (5) whether certain advances made by Middle States to Mellody Mills, Inc. are deductible as worthless business bad debts under section 166 to the extent of $6.250 and $49,139.49 in the taxable years ended January 31, 1955 and 1956, respectively; and (6) whether Book Production Industries, Inc. realized a gain of $425,625 in 1956 through the transfer to it of certain assets of Babcock Printing Press Corporation.

Findings of Fact

Some*270 of the facts were stipulated and they are so found.

John F. Cuneo and Julia S. Cuneo, husband and wife, are residents of Libertyville, Lake County, Illinois. John F. Cuneo, who maintains his principal office in Chicago, Illinois, filed with his wife a joint Federal income tax return for 1956 with the district director of internal revenue, Chicago, Illinois.

Book Production Industries, Inc., hereinafter called Book Production, is an Illinois corporation with its principal office in Chicago, Illinois. During the year 1956 Book Production owned from 85 percent to 100 percent of the outstanding stock of the following corporations: John A. Dickson Publishing Company; A. J. Cox and Company; Basic Books, Inc.; Times Sales Company, Inc.; The Catholic Press, Inc.; Mellody Mills, Inc.; Family Weekly Magazine, Inc.; and The Better Speech Institute of America, Inc. For the year 1956 Book Production and the above corporations filed a consolidated income tax return with the district director of internal revenue, Chicago, Illinois.

At all times here relevant, the outstanding capital stock of Book Production consisted of 200,000 shares of common stock. John F. Cuneo held 120,000 (60 percent) *271 of these shares of common stock, with the remaining 40 percent held by trusts for the benefit of the Cuneo children.

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Related

Sharp v. United States
263 F. Supp. 884 (S.D. Texas, 1966)

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Bluebook (online)
1965 T.C. Memo. 65, 24 T.C.M. 339, 1965 Tax Ct. Memo LEXIS 265, Counsel Stack Legal Research, https://law.counselstack.com/opinion/book-production-industries-inc-v-commissioner-tax-1965.