Edward Crump, Jr., Inc. v. Commissioner

6 T.C.M. 999, 1947 Tax Ct. Memo LEXIS 94
CourtUnited States Tax Court
DecidedAugust 29, 1947
DocketDocket Nos. 11353, 10875.
StatusUnpublished

This text of 6 T.C.M. 999 (Edward Crump, Jr., 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
Edward Crump, Jr., Inc. v. Commissioner, 6 T.C.M. 999, 1947 Tax Ct. Memo LEXIS 94 (tax 1947).

Opinion

Edward Crump, Jr., Inc. v. Commissioner.
Edward Crump, Jr., Inc. v. Commissioner
Docket Nos. 11353, 10875.
United States Tax Court
1947 Tax Ct. Memo LEXIS 94; 6 T.C.M. (CCH) 999; T.C.M. (RIA) 47244;
August 29, 1947
Sidney B. Gambill, Esq., and William Wallace Booth, Esq., 747 Union Tr. Bldg., Pittsburgh, Pa.*95 , for the petitioner. Hobby M. McCall, Esq., for the respondent.

OPPER

Memorandum Findings of Fact and Opinion

OPPER, Judge: These proceedings seek redeterminations of deficiencies in tax as follows:

1941
Income tax$ 1,918.46
Excess-profits tax2,427.32
1942
Income tax
Declared value excess-profits tax37.90
Excess-profits tax13,446.48

The determination for 1941 is said to have been a protective measure by respondent. Both parties now agree that the contract in question was not completed until 1942 and that the issue presented thereby is climinated. Petitioner claims an overpayment for the year 1941.

The remaining issue is petitioner's right, under Internal Revenue Code, section 736 (b), to compute its excess-profits income from long-term contracts upon a percentage of completion method of accounting.

Findings of Fact

Petitioner is a corporation organized and existing under the laws of the Commonwealth of Pennsylvania, with its principal place of business at 4031 Bigelow Boulevard, Pittsburgh, Pennsylvania. Petitioner kept its books and filed its tax returns on the calendar year basis. Its Federal income*96 and excess-profits tax returns for the years 1941 and 1942 were filed with the collector of internal revenue for the twenty-third collection district of Pennsylvania.

Petitioner was organized as a corporation in 1930, and since that time has been engaged in the business of building construction. In its Federal income tax returns for the years 1938 through 1942, it reported its profits from long-term contracts, as defined in section 29.42-4 of the Commissioner's Regulations 111, on the completed contract method, and so signified in its income tax returns for those years.

In August of 1940, petitioner entered into a contract with Pittsburgh Business Properties, Inc., for alterations and additions to the McCreary Building, located on Wood Street, extending from Oliver Avenue to Sixth Avenue, in downtown Pittsburgh, Pennsylvania. The contract provided for a total payment to petitioner of $369,195, subject to additions and deductions. Work was commenced on the contract in the fall of 1940 and continued throughout 1941. Prior to the end of 1941, several change orders came into existence, providing for changes in the contract by way of both omissions and additions. Additional change orders*97 came into existence in 1942. By the end of 1941 the contract (calling for an expenditure of $369,195) was 98.24 percent complete, and some of the 1941 change orders were complete. The entire contract, including the original contract and the change orders of 1941 and 1942, was completed in the spring of 1942.

Edward Crump, Jr., is president and treasurer of petitioner. George J. Sabel, a certified public accountant of Pittsburgh since 1928 and a senior partner of the accounting firm of George J. Sabel & Company, is also an officer of petitioner. Sabel has been in charge of keeping petitioner's book and preparing its tax returns for the last few years, and petitioner's income and excess-profits tax returns for the years 1941 and 1942 were prepared under his supervision. Prior to filing petitioner's 1941 returns, Crump was familiar with the fact that higher excess-profits tax rates would apply in 1942. He discussed the matter with Sabel and told Sabel that inasmuch as the contract with Pittsburgh Business Properties, Inc., (providing for an expenditure of approximately $369,000) was practically completed at the end of 1941, Sabel should report the profit therefrom in 1941. Sabel, in*98 preparing petitioner's income and excessprofits tax returns for the year 1941, reported the profit from the work done in 1941 on the Pitsburgh Business Properties, Inc., contract, as amended by the 1941 change orders, in the 1941 income and excess-profits tax returns. The profit thus reported from the Pittsburgh Business Properties, Inc., contract in the 1941 returns was $25,359.26.

In petitioner's 1942 income and excessprofits tax returns (which were likewise prepared under Sabel's supervision) the remaining profit from the Pittsburgh Business Properties, Inc., contract, as amended by the 1941 and 1942 change orders, was reported. The profit thus reported in the 1942 returns was $6,778.29.

The total profit from the Pittsburgh Business Properties, Inc., contract, as amended by the 1941 and 1942 change orders, amounted to $32,137.55.

The contract between petitioner and Pittsburgh Business Properties, Inc., as amended by the various change orders, is the only long-term contract, as defined in section 732 (b) of the Internal Revenue Code, that petitioner has ever had.

Respondent, in his determination of the deficiencies for the years 1941 and 1942, included*99 the entire profit of $32,137.55 from the Pittsburgh Business Properties, Inc., contract in each of these years.

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Bluebook (online)
6 T.C.M. 999, 1947 Tax Ct. Memo LEXIS 94, Counsel Stack Legal Research, https://law.counselstack.com/opinion/edward-crump-jr-inc-v-commissioner-tax-1947.