E. J. Scheer, Inc. v. Commissioner
This text of 8 T.C.M. 917 (E. J. Scheer, 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.
Opinion
*55 For its fiscal years ending January 31, 1942, January 31, 1943, and January 31, 1944, petitioner consistently took inventories of its merchandise on the basis of its "worth", as determined by petitioner. Respondent restored the inventories for the years ending January 31, 1943 and January 31, 1944 to a cost basis, using the closing inventory of the former as the opening inventory of the latter year. He did not restore petitioner's opening inventory for the former year to a cost basis.
Held, that respondent's action resulted in a distortion of income and is not approved.
Memorandum Opinion
VAN FOSSAN, Judge: The respondent determined a deficiency of $17,222.10 in the petitioner's excess profits tax liability for its fiscal year ending January 31, 1943, and deficiencies of $13.93 and $5,474.81 in its income tax liability and its excess profits tax liability, respectively, for its fiscal year ending January 31, 1944. The petitioner claims an overpayment of $40.48*56 for the fiscal year ending January 31, 1944.
The single issue is the correct basis for determining the amount of the petitioner's inventory at the beginning of the fiscal year ending January 31, 1943.
Certain facts were stipulated. In so far as they are pertinent to the issue, they are as follows:
The petitioner is a New York corporation, organized on November 20, 1931, with its principal office in Rochester, New York, and since that date has been continuously engaged in the retail jewelry business. The petitioner's tax returns for its fiscal years ended January 31, 1942, January 31, 1943, and January 31, 1944, were filed with the collector of internal revenue for the 28th district of the State of New York.
Inventory of merchandise was physically taken at the close of each of the fiscal years ended January 31, 1942, January 31, 1943, and January 31, 1944. The amounts of the opening and closing inventories for each of the fiscal year ending January 31, 1943, and January 31, 1944, as shown on the petitioner's books before adjustment (Column 1), the amounts of opening and closing inventories as shown on the balance sheets attached to the petitioner's tax returns (Column 2), and*57 the amounts of reductions of its inventories made by the petitioner on its books of account (Column 3), were as follows:
| SUMMARY STATEMENT OF INVENTORIES | |||
| Amount of | Amount of | ||
| Inventories as | Inventories as | ||
| Shown on | Shown on Bal- | ||
| Books Before | ance Sheets of | Amount of | |
| Adjustment | Tax Returns | Adjustment | |
| For Fiscal Year, Jan. 31, 1942: | |||
| Closing Inventories, Jan. 31, 1942 | $104,331.04 | $ 90,517.64 | $13,813.40 |
| For Fiscal Year, Jan. 31, 1943: | |||
| Opening Inventories, Feb. 1, 1942 | 104,331.04 | 90,517.64 | 13,813.40 |
| Closing Inventories, Jan. 31, 1942 | 135,772.22 | 117,908.07 | 17,864.15 |
| For Fiscal Year, Jan. 31, 1944: | |||
| Opening Inventories, Feb. 1, 1943 | 135,772.22 | 117,908.07 | 17,864.15 |
| Closing Inventories, Jan. 31, 1944 | 142,411.66 | 116,586.31 | 25,825.35 |
In determining the deficiency for the fiscal year ending January 31, 1944, the respondent increased the opening and closing inventories for that year in the respective amounts by which petitioner had reduced them as shown in column three above. In determining the deficiency for the fiscal year ended January 31, 1943, the respondent increased the closing inventory for that year in the amount by*58 which the petitioner had reduced it as shown in column three above, but the respondent made no change in the opening inventory for that year, which inventory the petitioner had reduced in the amount as shown in column three.
In explanation of his adjustment of inventory for the fiscal year ending January 31, 1943, the respondent stated:
"The adjustment by way of reduction to your inventory of merchandise as at January 31, 1943, in the amount of $17,864.15, alleged to reflect the decrease necessary to reduce this inventory to market value, has been disallowed for the reason that the loss of value has not been substantiated."
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Cite This Page — Counsel Stack
8 T.C.M. 917, 1949 Tax Ct. Memo LEXIS 55, Counsel Stack Legal Research, https://law.counselstack.com/opinion/e-j-scheer-inc-v-commissioner-tax-1949.