Coulter Electronics, Inc. v. Commissioner

1990 T.C. Memo. 186, 59 T.C.M. 350, 1990 Tax Ct. Memo LEXIS 205
CourtUnited States Tax Court
DecidedApril 10, 1990
DocketDocket Nos. 1145-84, 18120-84
StatusUnpublished
Cited by6 cases

This text of 1990 T.C. Memo. 186 (Coulter Electronics, 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
Coulter Electronics, Inc. v. Commissioner, 1990 T.C. Memo. 186, 59 T.C.M. 350, 1990 Tax Ct. Memo LEXIS 205 (tax 1990).

Opinion

COULTER ELECTRONICS, INC. AND CONSOLIDATED SUBSIDIARIES and COULTER CORPORATION AND CONSOLIDATED SUBSIDIARIES, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent; COULTER CORPORATION AND CONSOLIDATED SUBSIDIARIES and COULTER ELECTRONICS, INC., As Transferee of the Assets of Coulter Reagents, Inc., Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Coulter Electronics, Inc. v. Commissioner
Docket Nos. 1145-84, 18120-84
United States Tax Court
T.C. Memo 1990-186; 1990 Tax Ct. Memo LEXIS 205; 59 T.C.M. (CCH) 350; T.C.M. (RIA) 90186;
April 10, 1990
Gregg D. Lemein, Robert H. Aland, and Michael T. McCormick, for the petitioners.
Thomas R. Ascher, for the respondent.

SHIELDS

MEMORANDUM FINDINGS OF FACT AND OPINION

SHIELDS, Judge: In two notices of deficiency both dated October 19, 1983, respondent determined deficiencies in the Federal income taxes of Coulter Electronics, Inc.*206 , and Subsidiaries as follows:

Year EndedDeficiency
3/31/72$   506,299
3/31/732,284,848
3/31/74979,371
3/31/751,759,563

In a third notice of deficiency, also dated October 19, 1983, respondent determined a deficiency of $ 163,279 in the Federal income tax of Coulter Corporation (formerly known as Coulter Electronics, Inc.) and Subsidiaries for the year ended March 31, 1976.

On January 16, 1984, Coulter Electronics and Subsidiaries and Coulter Corporation and Subsidiaries filed a joint petition from the three notices of deficiency dated October 19, 1983. Their joint petition was assigned docket No. 1145-84.

In a notice of deficiency dated March 12, 1984, respondent determined deficiencies in the Federal income taxes of Coulter Corporation and Subsidiaries as follows:

Year EndedDeficiency
3/31/77$ 3,168,063
3/31/781,532,071

In a second notice of deficiency dated March 12, 1984, respondent determined that Coulter Electronics, Inc., was liable as a transferee of Coulter Reagents, Inc., for Federal income tax in the amount of $ 179,645 for the year ended March 31, 1978. On June 11, 1984, Coulter Corporation and Subsidiaries*207 and Coulter Electronics, Inc., as transferee of Coulter Reagents, Inc., filed a joint petition from both notices of deficiency dated March 12, 1984. This joint petition was assigned docket No. 18120-84.

On March 25, 1985, the proceedings at docket No. 1145-84 and docket No. 18120-84 were consolidated for purposes of trial, briefing, and opinion. Since that date the parties have filed four Agreements of Settlement in which they have disposed of a number of issues leaving for decision only the following: (1) whether the assignment during fiscal years 1974 through 1978 by petitioners of certain equipment leases to a bank constituted sales as determined by respondent or pledges for loans as contended by petitioners; and (2) whether petitioners' reimbursements during fiscal years 1974, 1977, and 1978 to a Canadian subsidiary for certain warranty expenses are deductible by petitioners as ordinary and necessary business expenses under section 162. 1 Respondent also disallowed the deduction by petitioners of the disputed warranty expenses by allocating the expenses to the Canadian subsidiary under section 482; but on brief respondent abandoned this determination.

*208 FINDINGS OF FACT

Numerous facts have been stipulated and are found accordingly. The parties' Stipulation of Facts and their four Supplemental Stipulations of Facts together with the exhibits identified therein are incorporated herein by reference.

Petitioner Coulter Electronics, Inc., is an Illinois corporation which had its principal office and place of business in Hialeah, Florida during 1972 through 1978 and at the time it filed its petition herein. Petitioner Coulter Corporation is a Delaware corporation which was organized in 1975 and acquired in January of 1976 all of the stock of Coulter Electronics in exchange for Coulter Corporation stock. Its principal office and place of business was also in Hialeah at the time its petition was filed and at all other relevant times.

Coulter Electronics,Coulter Corporation, and all of their consolidated subsidiaries' which the parties have stipulated may for the purposes of these proceedings be referred to collectively as petitioner, maintained their accounting records and filed their income tax returns for all relevant periods using the accrual method of accounting and a fiscal year ending on March 31.

During the fiscal years*209 ending on March 31, 1972, through March 31, 1978, petitioner manufactured diagnostic instruments and sold or leased them to hospitals, clinical laboratories, and physicians. Petitioner also manufactured and sold chemical reagents and controls for use with its instruments.

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Bluebook (online)
1990 T.C. Memo. 186, 59 T.C.M. 350, 1990 Tax Ct. Memo LEXIS 205, Counsel Stack Legal Research, https://law.counselstack.com/opinion/coulter-electronics-inc-v-commissioner-tax-1990.