Bowden Concrete Products, Inc. v. Commissioner

1961 T.C. Memo. 307, 20 T.C.M. 1584, 1961 Tax Ct. Memo LEXIS 42
CourtUnited States Tax Court
DecidedNovember 9, 1961
DocketDocket No. 85662.
StatusUnpublished

This text of 1961 T.C. Memo. 307 (Bowden Concrete Products, 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
Bowden Concrete Products, Inc. v. Commissioner, 1961 T.C. Memo. 307, 20 T.C.M. 1584, 1961 Tax Ct. Memo LEXIS 42 (tax 1961).

Opinion

Bowden Concrete Products, Inc. v. Commissioner.
Bowden Concrete Products, Inc. v. Commissioner
Docket No. 85662.
United States Tax Court
T.C. Memo 1961-307; 1961 Tax Ct. Memo LEXIS 42; 20 T.C.M. (CCH) 1584; T.C.M. (RIA) 61307;
November 9, 1961

*42 Held, that the petitioner's failure to file a Federal income tax return for the taxable year ended August 31, 1956, within the time prescribed by law, was not due to reasonable cause; accordingly, the petitioner is liable for an addition to tax for that year pursuant to section 6651(a) of the Internal Revenue Code of 1954.

P. K. Seidman, Esq., 63 South Main Bldg., Memphis, Tenn., for the petitioner. Robert B. Milsten, Esq., for the respondent.

ATKINS

Memorandum Findings of Fact and Opinion

ATKINS, Judge: The respondent determined deficiencies in income tax and additions thereto as*43 follows:

Addition to
Tax I.R.C.
1954 Sec.
YearIncome Tax6651(a)
August 31, 1956$10,801.58$2,700.40
August 31, 19574,710.34

At the hearing the petitioner conceded that the deficiencies in income tax for the taxable years ended August 31, 1956, and August 31, 1957, were properly determined by the respondent, leaving for decision only the issue of whether petitioner is liable for additions to tax for failure timely to file an income tax return for the taxable year ended August 31, 1956.

Findings of Fact

The petitioner is a Tennessee corporation organized in 1953 with its office in Memphis, Tennessee. Jones E. Bowden is its president and owns most of its voting stock. He, as president, signed the petitioner's income tax returns and wrote its checks for payment of any tax due.

From the time of its incorporation in 1953, the petitioner has retained a firm of certified public accountants to prepare its corporate income tax returns and render tax advice. There was no written agreement and no specific understanding as to the extent of the responsibility of the accounting firm with respect to petitioner's returns. It was the general practice*44 of the accounting firm to prepare returns for clients and then mail the returns to them for filing with the Internal Revenue Service. It was its custom in each case to send a sheet of filing instructions and a copy of the return for the client to retain. The filing instructions of the accounting firm are on a form which sets forth the nature of the return, the year involved, whether a tax is due, the due date for filing, and the district director's office to which the return is to be mailed. Customarily the client then signs the return and mails it, together with a check, to the Internal Revenue Service. On some occasions, as when the time for filing is imminent, the accounting firm obtains the signature of the taxpayer and files the return itself. The same instruction form is used whether the return is filed by the client or by the accounting firm. Such form does not itself state whether the return has already been filed by the accounting firm.

For the taxable year ended August 31, 1954, the accounting firm prepared the petitioner's income tax return and mailed it to the petitioner for filing, and the return was timely filed.

For the taxable year ended August 31, 1955, the accounting*45 firm called the petitioner's president, Bowden, into its office to sign the petitioner's return and draw a check for the amount of tax due for that year. This was necessary because of the nearness of the deadline for filing the petitioner's returns for that year. The accounting firm then delivered the return to the Memphis office of the district director of Internal Revenue and mailed to petitioner a copy of the return, together with a filing instruction form attached thereto.

The petitioner's income tax return for the taxable year ended August 31, 1956, was due to be filed on or before November 15, 1956. The return was prepared by the accounting firm on October 8, 1956, and on October 26, 1956, it was mailed to Bowden for filing at the office of the local district director of internal revenue. Included with the return was the client's copy and the usual filing instructions. Such return was not filed on or before November 15, 1956. Approximately a year later the accounting firm was notified by a revenue agent that a return had not been filed on behalf of the petitioner for the taxable year ended August 31, 1956. The accounting firm contacted Bowden who advised them that he had relied*46 on the firm to file the return and thought it had been filed. The accounting firm then prepared a return from a penciled copy which it had retained, had the return signed by Bowden as president of the petitioner on November 18, 1957, and filed it with the Memphis office of the district director of internal revenue on that date. The return as filed contained no explanation for the delinquency in filing. The amount of tax shown to be due on the return, $951.12, was not remitted with the return.

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Bluebook (online)
1961 T.C. Memo. 307, 20 T.C.M. 1584, 1961 Tax Ct. Memo LEXIS 42, Counsel Stack Legal Research, https://law.counselstack.com/opinion/bowden-concrete-products-inc-v-commissioner-tax-1961.