Chaitlen v. Commissioner

1978 T.C. Memo. 6, 37 T.C.M. 17, 1978 Tax Ct. Memo LEXIS 504
CourtUnited States Tax Court
DecidedJanuary 9, 1978
DocketDocket No. 5816-75.
StatusUnpublished

This text of 1978 T.C. Memo. 6 (Chaitlen 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
Chaitlen v. Commissioner, 1978 T.C. Memo. 6, 37 T.C.M. 17, 1978 Tax Ct. Memo LEXIS 504 (tax 1978).

Opinion

MORRIE CHAITLEN, TRANSFEREE OF THE STATE METALS & STEEL COMPANY, INC., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
THE STATE METALS & STEEL COMPANY, INC., a dissolved Ohio corporation, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Chaitlen v. Commissioner
Docket No. 5816-75.
United States Tax Court
T.C. Memo 1978-6; 1978 Tax Ct. Memo LEXIS 504; 37 T.C.M. (CCH) 17; T.C.M. (RIA) 780006;
January 9, 1978, Filed; As Amended January 26, 1978
*504

Petitioner, The State Metals & Steel Company, Inc. valued its closing inventory for October 31, 1970, at $100,000. Held, proper inventory value determined to be $150,000.

Charles W. Davis,Douglas L. Barnes,Peter B. Freeman, and Francis O. McDermott, for the petitioners.
Harmon B. Dow and Gary C. Gough, for the respondent.

WILES

MEMORANDUM FINDINGS OF FACT AND OPINION

WILES, Judge: Respondent determined a deficiency of $47,361 in the income tax of The State Metals & Steel Company, Inc. (hereinafter State Metals), for its taxable year ended October 31, 1970, and further determined that Morrie Chaitlen was liable under section 6901 1 as a transferee of the corporation for the same amount. The sole issue before us is whether State Metals properly valued its closing inventory for the taxable year ended October 31, 1970, at $100,000.

FINDINGS OF FACT

Some of the facts were stipulated and are found accordingly.

State Metals, an Ohio corporation, maintained its principal office and place of business in Canton, Ohio, when it filed its 1969 income tax return for the taxable year ended October 31, 1970.

State *505 Metals was in the business of purchasing, processing, and selling scrap metal. It purchased a wide variety of scrap metals from various sources. Purchases were ordinarily transported to the yard by truck at which time the scrap was weighed. The metal was stored in piles, segregated into different grades, and then processed by cutting, stripping, or burning. The processed metals were ultimately sold to steel mills, refineries, foundries, and others for further processing or fabrication.

State Metals, an accrual basis taxpayer, determined its cost of goods sold through the use of inventories. Although its tax returns reflected that the inventory was valued at lower of cost or market and under the assumption that the inventory was comprised of the most recently purchased goods (FIFO), it actually valued inventory under a method peculiar to the scrap metals industry. Under this method, a corporate officer would visit the scrap yard, estimate quantities of the various categories of scrap, and determine a price for the scrap after referring to market quotes in trade journals, market conditions, and the processing stage of the inventory. State Metals did not maintain a perpetual inventory *506 to assist in inventory valuation and compiled no other records reflecting its inventory method.

Prior to March 2, 1970, State Metals was owned and operated by Joseph and Maurice Kline and related parties. Although Maurice Kline was deceased at the time of trial, the testimony of Earleen Brady, a State Metals' bookkeeper for 25 years, established that he visually estimated the quantities of various types of scrap metals on hand and determined a value for the tax return by reference to his knowledge of specific market conditions, published industry-wide market quotations, including those found in American Metal Market and Iron Age, and purchase and sales invoices. Maurice Kline, who had over 30 years' experience in the scrap metal business, valued the closing inventory of State Metals for its year ended October 31, 1969, at $510,675.

On March 2, 1970, petitioner Morrie Chaitlen, his son-in-law, Larry Lasky, and others purchased all of the State Metals' stock from the Kline group. At the time of the stock purchase, State Metals' inventory was scattered and unmanageable, and it was the new owners' intention to reduce the inventory and thereby create a more efficient operation.

State *507 Metals continued to operate from March 2, 1970, until July 31, 1970, when a labor strike terminated all business activities. On or about June 1, 1970, the union representing State Metals' employees served State Metals with a 60-day notice of termination and a new contract proposal containing its demand. From mid-June through July, State Metals, anticipating the expiration of the union contract, reduced its inventory. State Metals conducted no further business activity between July 31, 1970, the date of the strike, and March 5, 1971, the date the business was resold by Chaitlen and his associates. As a result, State Metals' inventory as of March 5, 1971, was the same as its closing inventory on October 31, 1970, and its inventory on July 31, 1970, when the strike was called.

In September 1970, Lasky, vice president and secretary of State Metals, accompanied Chaitlen, president of State Metals, on an inspection of the scrap yard for the purpose of placing a value on its closing inventory for the taxable year ended October 31, 1970. Chaitlen had discussed methods of valuing the inventory with his accountant, Joel Chemers. Chaitlen prepared notes, which were unavailable at trial, *508 as they visually estimated the quantities of the various types of scrap metals on hand. After discussing specific market conditions, Chaitlen estimated the value of the inventory based upon the discussion and prices quoted in American Metal Market and Iron Age.

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

Related

Burka v. Commissioner of Internal Revenue
179 F.2d 483 (Fourth Circuit, 1950)
Joseph Starr v. Commissioner of Internal Revenue
226 F.2d 721 (Seventh Circuit, 1955)
Frank G. Wikstrom & Sons, Inc. v. Commissioner
20 T.C. 359 (U.S. Tax Court, 1953)
D. Loveman & Son Export Corp. v. Commissioner
34 T.C. 776 (U.S. Tax Court, 1960)
Photo-Sonics, Inc. v. Commissioner
42 T.C. 926 (U.S. Tax Court, 1964)
Crosby v. Dorward
94 N.E. 78 (Illinois Supreme Court, 1911)

Cite This Page — Counsel Stack

Bluebook (online)
1978 T.C. Memo. 6, 37 T.C.M. 17, 1978 Tax Ct. Memo LEXIS 504, Counsel Stack Legal Research, https://law.counselstack.com/opinion/chaitlen-v-commissioner-tax-1978.