Differential Steel Car Co. v. Commissioner

1966 T.C. Memo. 65, 25 T.C.M. 344, 1966 Tax Ct. Memo LEXIS 217
United States Tax Court·Decided March 28, 1966·No. Docket Nos. 1775-62, 2217-63, 2394-64, 1792-62, 2216-63, 2395-64.·Unpublished

Opinion

Differential Steel Car Company, et al. 1 v. Commissioner.
Differential Steel Car Co. v. Commissioner
Docket Nos. 1775-62, 2217-63, 2394-64, 1792-62, 2216-63, 2395-64.
United States Tax Court
T.C. Memo 1966-65; 1966 Tax Ct. Memo LEXIS 217; 25 T.C.M. (CCH) 344; T.C.M. (RIA) 66065;
March 28, 1966
G. C. Scharfy and Robert B. Gosline, for the petitioners. John P. Graham and Clarence C. Roby, for the respondent.

DAWSON

Memorandum Findings of Fact and Opinion

DAWSON, Judge: Respondent determined deficiencies in the income taxes of petitioners as follows:

Docket
PetitionersNo.YearDeficiency
Differential Steel Car Company1775-621958$234,851.53
2217-63195942,856.17
2394-64196030,335.92
H. Fort Flowers and Sara N. Flowers1792-621958267,191.25
2216-63195943,336.37
2395-64196032,371.70
By amended answers the respondent claimed the following increased deficiencies:
Docket
PetitionersNo.YearDeficiency
Differential Steel Car Company1775-621958$315,874.30
2217-631959123,213.76
H. Fort Flowers and Sara N. Flowers1792-621958392,899.03
2216-631959148,367.68

*218 During 1958, 1959, and 1960 H. Fort Flowers and Sara N. Flowers received payments from Differential Steel Car Company for certain patents which they had sold to it. Only one issue is raised by the pleadings: Were the patent payments made by Differential Steel Car Company to the Flowers reasonable in amount, and thus deductible by the corporation as ordinary and necessary business expenses and taxable to the Flowers as long-term capital gains?

Findings of Fact

Some of the facts have been stipulated by the parties and are hereby found accordingly.

H. Fort Flowers and Sara N. Flowers are husband and wife. They reside at 3023 Del Monte Drive, Houston, Texas. They filed their joint Federal income tax returns for the calendar years 1958, 1959, and 1960 with the district director of internal revenue, Austin, Texas.

Differential Steel Car Company is an Ohio corporation with its principal office and place of business at Differential Avenue, Findlay, Ohio. The corporation filed its Federal income tax returns for the years 1958, 1959, and 1960 with the district director of internal revenue, Cleveland, Ohio.

H. Fort Flowers (hereafter sometimes called Flowers) graduated in 1912 from*219 Vanderbilt University with a degree in mechanical engineering. His entire professional career since that time has been devoted to the development of specially designed haulage and dumping equipment for iron and coal mines, railroads, quarries, steel mills, and the like. This includes electric locomotives, railroad type dump cars, mine cars suitable for hauling various types of ores and coal, mine passenger cars (often referred to as "man-trip" cars), rotary car dumpers, and an extensive line of repair parts. In the course of his work Flowers has brought new techniques and innovations to the industry. Many of these have been patented. During the years in issue the following patents were issued and outstanding in Flowers' name:

PatentDate
EquipmentPatented DeviceNo. 2Issued

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Differential Steel Car Co. v. Commissioner, 1966 T.C. Memo. 65, 25 T.C.M. 344, 1966 Tax Ct. Memo LEXIS 217 (tax 1966).

1966 T.C. Memo. 65 (Differential Steel Car Co. v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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