Commissioner v. Vandeveer

114 F.2d 719, 25 A.F.T.R. (P-H) 709, 1940 U.S. App. LEXIS 3199
CourtCourt of Appeals for the Sixth Circuit
DecidedSeptember 16, 1940
DocketNo. 8168
StatusPublished
Cited by3 cases

This text of 114 F.2d 719 (Commissioner v. Vandeveer) is published on Counsel Stack Legal Research, covering Court of Appeals for the Sixth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Commissioner v. Vandeveer, 114 F.2d 719, 25 A.F.T.R. (P-H) 709, 1940 U.S. App. LEXIS 3199 (6th Cir. 1940).

Opinion

ARANT, Circuit Judge.

This is a petition by the Commissioner of Internal Revenue to review determinations of the Board of Tax Appeals that petitioner overpaid $4,493.77 in income tax for the year 1930 and owes $2,065.51 for the year 1931.

W. W. Vandeveer and F. R. Newman organized the Allied Oil Company, Inc., in 1925, to sell and distribute fuel oil. From, the beginning they owned all the common stock, with the exception of qualifying-shares, and one hundred and fifty of the six hundred shares of preferred stock. With the knowledge and approval of the other preferred stockholders, the corporation agreed to pay Vandeveer and Newman for their services stated salaries and bonuses based upon the company’s earnings. .

In its early years, the Company was primarily a broker, but in 1929 former sources-of supply became unreliable, and it concluded that its- way of doing business must be-changed. Accordingly, it decided to build storage facilities in Cleveland and purchase-a tank ship to enable it to reach more dependable and economical sources of supply-By the end of the year, a steamship costing $180,000 had been purchased, other commitments had been made, and additional capital was being sought. The Company,, in the meantime, had become unable to pay Vandeveer and Newman in cash the approximately $220,000 due for bonuses. Ini 1930 the Central United National Bank, granted the Company a loan of $125,000,. but demanded that the bonus accounts be-liquidated and the Company’s net worth increased to $300,000. Pursuant to this arrangement, Vandeveer and Newman each» subscribed for nine hundred and fifty-shares of a new issue of no par value com[721]*721mon stock, at $130 per share, for which they later paid by cancellation of their accrued bonus claims and payment of approximately $26,000 each in cash. In the following year, they each subscribed for two hundred and fifty-four shares of a new issue of preferred stock at $100 per share, for which they paid by releasing their bonus claims for $25,336.16 each, and authorizing charge of the balance due to their respective accounts.

Both Vandeveer and Newman petitioned the Board for review of the Commissioner’s assertion of tax deficiencies for the years 1930 and 1931. The Board heard their petitions together and drafted an opinion applicable to both. Separate petitions for review were filed, but, inasmuch as similar facts and identical questions of law are involved, we ordered that our decision in this case shall control Newman’s companion case.

Respondent has always reported his income on a cash basis, as authorized by statute. Since the income in question was not in the form of cash, he was required to report its cash equivalent. Whether the Board has correctly determined the cash equivalent of the stock received is the only question here presented. Is the cash equivalent, as decided by the Board, the value of the stock received in extinguishment of the bonus claims? Or is it, as contended by the Commissioner, the amount credited for bonuses?

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Related

Lee v. United States
219 F. Supp. 225 (W.D. South Carolina, 1963)
United Grocers, Ltd. v. United States
308 F.2d 634 (Ninth Circuit, 1962)
United Grocers, Ltd. v. United States
186 F. Supp. 724 (N.D. California, 1960)

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Bluebook (online)
114 F.2d 719, 25 A.F.T.R. (P-H) 709, 1940 U.S. App. LEXIS 3199, Counsel Stack Legal Research, https://law.counselstack.com/opinion/commissioner-v-vandeveer-ca6-1940.