Cal-Maine Foods, Inc. v. Commissioner

1977 T.C. Memo. 89, 36 T.C.M. 383, 1977 Tax Ct. Memo LEXIS 352
CourtUnited States Tax Court
DecidedMarch 30, 1977
DocketDocket Nos. 7092-74, 7093-74.
StatusUnpublished

This text of 1977 T.C. Memo. 89 (Cal-Maine Foods, 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
Cal-Maine Foods, Inc. v. Commissioner, 1977 T.C. Memo. 89, 36 T.C.M. 383, 1977 Tax Ct. Memo LEXIS 352 (tax 1977).

Opinion

CAL-MAINE FOODS, INC., SUCCESSOR TO ADAMS EGG FARMS, INC., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
CAL-MAINE FOODS, INC., SUCCESSOR TO ADAMS FOODS, INC., (FORMERLY SIMPSON COUNTY HATCHERY, INC.) Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Cal-Maine Foods, Inc. v. Commissioner
Docket Nos. 7092-74, 7093-74.
United States Tax Court
T.C. Memo 1977-89; 1977 Tax Ct. Memo LEXIS 352; 36 T.C.M. (CCH) 383; T.C.M. (RIA) 770089;
March 30, 1977, Filed

*352 Farms entered into an agreement entitled "Agreement of Lease" providing for the construction by the lessor of specific improvements on a particular parcel of land and monthly payments by Farms based upon the lessor's total original cost. The agreement contained an option under which Farms was entitled to purchase the leased premises at the end of the primary term of the lease, or at the end of any extension thereof, for a specified percentage of the lessor's total original cost. The Commissioner determined that the monthly payments under the agreement constituted capital expenditures and thus were not allowable deductions. Held, the agreement constitutes neither a mere security device nor a conditional sales contract and, therefore, the monthly payments constitute deductible rental payments under sec. 162(a)(3), I.R.C. 1954.

Hugh C. Montgomery, Jr., for the petitioner.
Robert W. West, for the respondent.

GOFFE

MEMORANDUM FINDINGS OF FACT AND OPINION

GOFFE, Judge: The Commissioner determined the following deficiencies in petitioner's Federal income taxes:

DocketTaxable Year
PetitionerNumberEndedDeficiency
Cal-Maine Foods, Inc.,7092-749/8/66$ 3,124.00
Successor to Adams Egg
Farms, Inc.
Cal-Maine Foods, Inc.,
Successor to Adams Foods,
Inc. (Formerly Simpson
County Hatchery, Inc.)7093-745/27/67$36,304.77

Concessions having been made, the sole issue for decision is whether payments made by Adams Egg Farms, Inc., to Cargill, Inc., constitute rental payments within the meaning of section 162(a)(3), 1 Internal Revenue Code of 1954, or were in reality payments*354 for the purchase of property.

FINDINGS OF FACT

Some of the facts have been stipulated. The stipulation of facts and the exhibits attached thereto are incorporated by this reference.

Petitioner Cal-Maine Foods, Inc., a Delaware corporation, maintained its principal office in Jackson, Mississippi, at the time it filed its petitions in this proceeding. It is the successor to Adams Egg Farms, Inc., and Adams Foods, Inc. Adams Egg Farms, Inc. (hereinafter Farms) filed a Federal corporate income tax return for its taxable year beginning February 1, 1966 and ending January 31, 1967, with the District Director of Internal Revenue, Jackson, Mississippi. It subsequently filed an amended return for the taxable period ending September 8, 1966, the day prior to the acquisition of all of its stock by Adams Foods, Inc. (hereinafter Foods). A consolidated Federal income tax return was filed by Foods and Farms for the taxable period ending May 27, 1967, with the District Director of Internal Revenue, Jackson, Mississippi.

Farms was organized under the laws of the State of Mississippi on January 31, 1961. *355 Ten shares of common stock, the original capitalization, were issued to Fred Adams, Jr. On February 21, 1963, Cargill, Inc. (hereinafter Cargill) acquired 51 percent of the outstanding capital stock of Farms. During Farms' taxable year ended September 8, 1966, Cargill owned 51 percent of the outstanding stock of both Foods and Farms, while Fred Adams, Jr., owned the remainder. On September 9, 1966, Foods purchased 51 percent of the outstanding stock of Farms from Cargill; on the same date the 51 percent interest in Foods owned by Cargill was acquired by Mr. Adams, who contributed his 49 percent interest in Farms to Foods on such date. As a result of the above transactions, Mr. Adams owned all of the stock of Foods, which owned all of the stock of Farms.

The principal business activity of Farms is the production and sale of eggs. In 1963 and during the years in question, the commercial egg business was speculative, cyclical, and highly competitive. Since 1963, major egg producers have gone out of business as the result of bank-ruptcy or lack of working capital. Egg consumption per capita and the number of laying chickens in the United States have decreased.

The Federal*356

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1977 T.C. Memo. 89, 36 T.C.M. 383, 1977 Tax Ct. Memo LEXIS 352, Counsel Stack Legal Research, https://law.counselstack.com/opinion/cal-maine-foods-inc-v-commissioner-tax-1977.