Branham Co. v. Commissioner

1960 T.C. Memo. 31, 19 T.C.M. 168, 1960 Tax Ct. Memo LEXIS 253
CourtUnited States Tax Court
DecidedFebruary 29, 1960
DocketDocket No. 60499.
StatusUnpublished

This text of 1960 T.C. Memo. 31 (Branham Co. 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
Branham Co. v. Commissioner, 1960 T.C. Memo. 31, 19 T.C.M. 168, 1960 Tax Ct. Memo LEXIS 253 (tax 1960).

Opinion

The Branham Company v. Commissioner.
Branham Co. v. Commissioner
Docket No. 60499.
United States Tax Court
T.C. Memo 1960-31; 1960 Tax Ct. Memo LEXIS 253; 19 T.C.M. (CCH) 168; T.C.M. (RIA) 60031;
February 29, 1960
James J. Costello, Jr., Esq., for the petitioner. Charles B. Wolfe, Esq., for the respondent.

TRAIN

Memorandum Findings of Fact and Opinion

TRAIN, Judge: Respondent determined a deficiency in petitioner's income tax for the year 1951 in the amount of $26,615.01. The issue for decision is whether petitioner's contribution in 1951 to "The Branham Company Pension Trust" is deductible under section 23(p) of the Internal Revenue Code of 1939.

Findings of Fact

Some of the facts have been stipulated and are hereby found as stipulated.

Petitioner is a corporation*254 organized under the laws of Illinois, its principal office being located at 360 North Michigan Avenue, Chicago, Illinois. Petitioner files its income tax returns on the calendar year basis using an accrual method of accounting. It filed its 1951 income tax return with the then collector of internal revenue for the first district of Illinois.

During the years 1951 and 1952, Monroe H. Long was president and Lewis S. Greenberg was vice president and treasurer of the petitioner. Long and Greenberg were also members of the petitioner's Board of Directors during those years. Arthur M. Kracke, a self-employed practicing attorney, was retained by petitioner during the years 1951 and 1952 for special purposes. Kracke was not a member of petitioner's Board of Directors.

Throughout the calendar year 1951, the petitioner had in existence a profit-sharing plan and trust known as "The Branham Company Employees Retirement Trust," hereinafter referred to as the Retirement Fund, which met the requirements of section 165(a) of the Internal Revenue Code of 1939 and qualified as exempt under that section at all times during the year 1951. In that year, petitioner made cash contributions to the exempt*255 profit-sharing trust in the amount of $72,288.73.

During the same year 1951, petitioner became interested in establishing a pension plan for its employees. Officers of petitioner discussed such a plan during 1951 with George Schuermann, manager of the Herman A. Zischke organization of Chicago, Illinois, which organization was a general agent for the Union Central Life Insurance Company of Cincinnati, Ohio, hereinafter referred to as the Insurance Company.

On December 13, 1951, the Board of Directors of The Branham Company adopted a resolution which provided, as follows:

"RESOLVED that the Company adopt a Pension Plan to be carried into effect by the creation of a Pension Trust to be known and designated as 'The Branham Company Pension Plan' effective December 1, 1951, established for the benefit of qualified salaried employees of the Company as provided in a trust agreement creating said Trust; and,

"RESOLVED, FURTHER, that said Pension Trust conform in substance to the draft of a trust agreement submitted to the Board of Directors at this meeting, and that, subject to such necessary formal changes, if any, as may, prior to the execution of the Trust Agreement, be made therein*256 by the officers of the Company on the advice of legal counsel, said draft of the agreement be adopted and approved as constituting The Branham Company Pension Plan; and,

"RESOLVED, FURTHER, that said Pension Plan be so designed to qualify under the provisions of Section 165 of the Internal Revenue Code as amended and to conform with the Defense Production Act of 1950 as amended and the regulations and orders promulgated pursuant thereto, and that the officers of the Company be and hereby are authorized and directed to make application to the appropriate authorities of the Government for rulings that said Trust Agreement and the Pension Plan provided for thereunder qualify under the provisions of Section 165 of the Internal Revenue Code as amended and do not contravene the Defense Production Act of 1950 and the regulations and orders promulgated thereunder; and

"RESOLVED, FURTHER, that the President and Secretary of the Company be and they hereby are authorized and directed on behalf of the Company to execute the original of the Trust Agreement so prepared, and as many duplicate copies thereof as are deemed necessary, as the complete*257 Trust Agreement evidencing the Company's Pension Trust; and that an original of said Trust Agreement when executed and completed as aforesaid shall be filed as a part of the minutes of this meeting; and

"RESOLVED, FURTHER, that the Trustees named in said Trust Agreement, namely, MONROE H. LONG, LEWIS S. GREENBERG and ARTHUR M. KRACKE, are hereby nominated and appointed by the Company as Trustees under said Trust Agreement for and during the respective terms as therein provided; and

"RESOLVED, FURTHER, that the Company hereby appropriate an amount owing under said Trust for the calendar year 1951 and direct that the same shall be paid on or before December 31, 1951.

"RESOLVED, FURTHER, that the Secretary of the Company prepare a certified copy of these minutes for such purposes as may be required for the execution and completion of the transaction for the establishment of said Pension Plan."

During the month of December 1951 petitioner and the individuals named as trustees executed an agreement known as "The Branham Company Pension Trust", hereinafter referred to as the Pension Trust, which provided, in part, as follows:

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Bluebook (online)
1960 T.C. Memo. 31, 19 T.C.M. 168, 1960 Tax Ct. Memo LEXIS 253, Counsel Stack Legal Research, https://law.counselstack.com/opinion/branham-co-v-commissioner-tax-1960.