Day & Zimmerman, Inc. v. Commissioner

3 T.C.M. 760, 1944 Tax Ct. Memo LEXIS 168
CourtUnited States Tax Court
DecidedJuly 27, 1944
DocketDocket No. 210.
StatusUnpublished

This text of 3 T.C.M. 760 (Day & Zimmerman, 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
Day & Zimmerman, Inc. v. Commissioner, 3 T.C.M. 760, 1944 Tax Ct. Memo LEXIS 168 (tax 1944).

Opinion

Day & Zimmerman, Incorporated v. Commissioner.
Day & Zimmerman, Inc. v. Commissioner
Docket No. 210.
United States Tax Court
1944 Tax Ct. Memo LEXIS 168; 3 T.C.M. (CCH) 760; T.C.M. (RIA) 44247;
July 27, 1944
*168 Calvin H. Rankin, Esq., for the petitioner. Brooks Fullerton, Esq., for the respondent.

TURNER

Memorandum Findings of Fact and Opinion

TURNER, Judge: The respondent has determined deficiencies in income tax against the petitioner for 1940 and 1941 in the respective amounts of $32,611.82 and $20,426.50. The issues presented are the correctness of the respondent's disallowance of (1) a deduction of $372,056.42 taken by petitioner in 1940 as a long-term capital loss sustained on shares of preferred stock owned by it in Victor Lynn Transportation Company, which completed liquidation in that year; (2) a deduction of $55,681.47 taken by petitioner in 1940 as a long-term capital loss sustained on shares of preferred stock owned by it in Red Star Lines, Inc., which likewise completed liquidation in 1940; and (3) a deduction of $63,450.66 taken by petitioner in 1941 as a long-term capital loss sustained on the sale in that year of shares of common stock in Roanoke-Staunton River Power Company.

A portion of the facts as to each of the issues was stipulated and are found as stipulated.

Issue L. - Loss on Stock in Victor Lynn Transportation Company

Findings of Fact

The petitioner is*169 a Maryland corporation, organized in January 1930, and has its principal office in Philadelphia, Pennsylvania. It filed its income tax returns for 1940 and 1941 with the Collector in that city.

The petitioner is engaged in the business of construction, making investigations and reports and rendering management services.

Victor Lynn Transportation Company, sometimes hereafter referred to as Victor, was a Delaware corporation organized in May 1930, with an authorized capital stock of 5,000 shares of no par value common stock and 5,000 shares of no par value $7 cumulative preferred stock entitled, upon liquidation, to $107 per share plus accumulated dividends. At all times here material the preferred stock, by reason of arrearages in payment of accumulated dividends, was entitled to vote share for share with the common stock. Victor was engaged in the transportation of freight primarily by motor vehicles but to some extent by boat. It transacted business in a number of states. It owned some real estate, a considerable number of trucks, and several boats which operated on Chesapeake Bay. In addition, it had certain franchises or permits to operate over fixed routes and certain rights*170 under the Federal Motor Carrier Act. It also owned 50 percent of the capital stock of the Red Star Garage & Terminal Company. The remaining 50 percent of the stock of that corporation was owned by Red Star Lines, Inc., the majority of whose stock was owned by petitioner, as more fully set out in our findings of fact under the next issue.

In August 1938, the issued and outstanding shares of stock in Victor were owned as follows:

PreferredCommon
Day & Zimmermann, Inc.4,9501,568
John W. Burris5050
Lura A. Richards75
Lee Webster Selfe75
5,0001,768

During 1939 and 1940, and so far as disclosed, during the last half of 1938, the officers of the petitioner and of Victor were as follows:

Day & Zimmerman, Inc.Victor Lynn Transportation
Company
W. Findlay DownsPresidentDirector
H. R. MartzSenior Vice PresidentPresident and Director
H. E. EhlersVice PresidentDirector
C. A. McClureSecretarySecretary
David KatzTreasurer
John W. BurrisDirector
Byron D. GreeneDirector
Lee Webster Selfe[n*]Director

[n*] Never connected in any way with Day & Zimmerman, Incorporated.

By August 29, 1938, Victor had run into financial difficulties*171 and was unable to continue its business in an orderly manner because of its inability to meet its obligations as they matured.

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Related

Gregory v. Helvering
293 U.S. 465 (Supreme Court, 1935)
Howard v. Commissioner
20 B.T.A. 207 (Board of Tax Appeals, 1930)
Winthrop v. Commissioner
36 B.T.A. 314 (Board of Tax Appeals, 1937)
Stimson Mill Co. v. Commissioner
46 B.T.A. 141 (Board of Tax Appeals, 1942)

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3 T.C.M. 760, 1944 Tax Ct. Memo LEXIS 168, Counsel Stack Legal Research, https://law.counselstack.com/opinion/day-zimmerman-inc-v-commissioner-tax-1944.