E. & J. Gallo Winery v. Commissioner
This text of 12 T.C.M. 414 (E. & J. Gallo Winery 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.
Opinion
Memorandum Opinion
TURNER, Judge: Respondent determined deficiencies in excess profits tax against petitioner for the fiscal years ended April 30, 1945, and April 30, 1946, in the respective amounts of $58,140.35 and $93,728.50; and he has also determined overassessments in income tax for the same taxable years in the respective amounts of $741.66 and $29,285.78. The pleadings raised several issues but the parties have adjusted them by stipulation and originally agreed that only two issues were to be submitted for decision, as follows: (1) Whether petitioner is entitled to carry over into its taxable year ended April 30, 1946, any unused excess profits credit of its submerged component, Valley Agricultural*290 Company, arising out of the latter's taxable year ended December 18, 1945; and (2) whether capital stock taxes are deductible in the taxable year in which the capital stock tax year ends. The second issue is now conceded by the respondent on authority of Tennessee
The facts have been stipulated and are found as stipulated.
Petitioner is a corporation and has its principal place of business in Modesto, California. It filed its various tax returns for the periods involved with the collector of internal revenue for the first district of California.
Petitioner was incorporated under the laws of the state of California on May 28, 1942, under the name of Gallo Tank Lines, to engage in the railroad tank car business. After engaging in that business for approximately one year, it sold all of its tank cars and ceased to engage in any business until 1944. On March 9, 1944, petitioner amended its Articles of Incorporation so as to substitute its present name for Gallo Tank Lines and to authorize it to engage in the winery business. On May 1, 1944, E. & J. Gallo Winery, *291 a copartnership composed of Ernest Gallo and Julio R. Gallo, conveyed the winery business formerly conducted by the copartnership to petitioner, and petitioner assumed the liabilities of the copartnership. Petitioner has since engaged in the winery business.
On December 19, 1945, by proceedings duly had and taken in accordance with
Valley Agricultural Company was incorporated under the laws of the state of California on March 6, 1926. Immediately prior to the merger, the Valley Agricultural Company had issued and outstanding 21,548 shares of its capital stock, all of one class. *292 Of the 21,548 shares, 13,576 shares were held as follows:
| No. of | Dates of | |
| Name | shares | acquisition |
| Petitioner | 16 | After July 7, 1943 |
| Ernest Gallo | 3536 | 2736 shares on July 7, 1943 and |
| 800 shares thereafter | ||
| Julio R. Gallo | 3717 | 2736 shares on July 7, 1943 and |
| 981 shares thereafter | ||
| Aileen Gallo | 2736 | July 7, 1943 |
| Amelia Gallo | 2736 | July 7, 1943 |
| Joseph Edward Gallo | 655 | After July 7, 1943 |
| Joe Ernest Gallo | 90 | After July 7, 1943 |
| David Ernest Gallo | 90 | After July 7, 1943 |
Immediately prior to the merger petitioner had issued and outstanding 1600 shares of its capital stock, all of which were of a single class. The 1600 shares were then, and since their original issuance in 1942 had been, beneficially owned by Ernest Gallo and Julio R. Gallo.
The excess profits credit of Valley Agricultural Company for its last taxable year, beginning January 1, 1945 and ending December 18, 1945, was $169,478.26. Its excess profits net income for the same taxable year was $102,777.22, and after annualization in accordance with Regulations 112, section 35.710-3, the annual net income
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12 T.C.M. 414, 1953 Tax Ct. Memo LEXIS 289, Counsel Stack Legal Research, https://law.counselstack.com/opinion/e-j-gallo-winery-v-commissioner-tax-1953.