Estate of Acheson v. Commissioner

3 T.C.M. 1242, 1944 Tax Ct. Memo LEXIS 36
CourtUnited States Tax Court
DecidedNovember 25, 1944
DocketDocket Nos. 2712, 2715, 2723, 2724, 2725, 2726, 2727, 2728, 2729, 2731.
StatusUnpublished
Cited by1 cases

This text of 3 T.C.M. 1242 (Estate of Acheson 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.

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Estate of Acheson v. Commissioner, 3 T.C.M. 1242, 1944 Tax Ct. Memo LEXIS 36 (tax 1944).

Opinion

Estate of John H. Acheson, Deceased, Union Trust Company, Successor Trustee, St. Petersburg, Florida, 1 v. Commissioner.
Estate of Acheson v. Commissioner
Docket Nos. 2712, 2715, 2723, 2724, 2725, 2726, 2727, 2728, 2729, 2731.
United States Tax Court
1944 Tax Ct. Memo LEXIS 36; 3 T.C.M. (CCH) 1242; T.C.M. (RIA) 44392;
November 25, 1944
*36 Paul P. Cohen, Esq., for the petitioners. F. S. Gettle, Esq., for the respondent.

STERNHAGEN

The Commissioner determined deficiencies in income tax as follows:

Estate of John H. Acheson$ 1,893.68
Margaret M. Acheson178,312.32
Margaret Acheson Stuart1,700.93
Howard A. Acheson Trust15,017.41
Edward G. Acheson Trust15,017.40
John H. Acheson Trust15,018.14
Margaret Acheson Stuart Trust15,015.11
Veronica B. A. Mackey Trust15,017.74
George W. Acheson Trust15,018.12
Edward G. Acheson, Jr:h1,592.61

1. All the petitioners assail the determination that the distributions of the Acheson Corporation during 1935 in shares of Acheson Graphite Corporation and cash were taxable to them in their entirety as dividends. All the facts of this issue are stipulated.

2. The petitioner in Docket No. 2715 also assails the disallowance of a bad debt deduction of $143,252.54. The facts of this issue are found from the evidence.

Findings of Fact

1. John H. Acheson filed his income tax return for 1935 at Jacksonville, Florida. Margaret M. Acheson, a resident of St. Petersburg, Florida, filed her 1935 income tax return on the cash basis at Jacksonville, Florida. Margaret Acheson *37 Stuart and Edward G. Acheson, Jr., each filed a 1935 income tax return on the cash basis in the Third District of New York. The Guaranty Trust Company of New York, as trustee, filed an income tax return on the cash basis for each of the six trusts, of which John H. Acheson, Margaret Acheson Stuart and Edward G. Acheson, Jr., in 1935 was each a beneficiary.

Acheson Corporation was organized under the laws of Delaware on November 12, 1915, with an authorized capital stock of $1,000,000, consisting of 10,000 shares (par $100). As of January 1, 1916, the date it began business, Acheson Corporation issued all of its authorized shares to Edward Goodrich Acheson and assumed his obligations of $200,800 and in exchange received from him securities, including 3.649 shares of Acheson Graphite Company, a New Jersey corporation (par $100), of the aggregate fair market value on January 1, 1916, of $2,112,299.66. Accordingly, the paid-in surplus of the corporation at the time of the commencement of its business was $911,499.66. On its books the corporation assigned a value of $1,327,300 to such securities and set up a paid-in surplus of $126,500.

During 1935, Margaret M. Acheson owned 2,950 shares*38 of Acheson Corporation, which she had received in 1923 as a gift from her husband, Edward Goodrich Acheson. During 1935, the Guaranty Trust Company, trustee, owned 800 shares of Acheson Corporation for the benefit of each of Howard A. Acheson, Edward G. Acheson. John H. Acheson, Margaret Acheson Stuart, Veronica B. A. Mackey, and George W. Acheson, which shares had been transferred to it by Edward Goodrich Acheson under six separate trust indentures made on July 10, 1928.

The total earnings and profits of Acheson Corporation from its incorporation to December 31, 1934, were $5,137,990.15. The total dividends paid in the same period out of earnings and profits were $3,664,100. In 1934, the corporation distributed $968,850.03 out of earnings and profits in redemption and cancellation of 1,000 of its own shares held by the executors of the estate of Edward Goodrich Acheson, deceased. Additional proper charges of $25,737.48 were made prior to December 31, 1934, to earned surplus. On January 1, 1935, the corporation had an earned surplus of $479,302.64. The earnings and profits of the corporation from January 1, 1935, to May 18, 1935, were $206,589.79. On April 1, 1935, the corporation*39 distributed a cash dividend of $63,000, leaving $622,892.43 in earned surplus as of April 2, 1935.

Prior to May, 1935, Acheson Corporation acquired 9,000 shares of Acheson Graphite Corporation, of which 8,798 were not acquired out of its earnings or profits but in nontaxable exchanges of its own common shares which had been received by it from Edward Goodrich Acheson on January 1, 1916. In computing the net income of Acheson Corporation no gain or loss from any of such exchanges was recognized under the applicable federal income tax laws. Based upon the values of the common shares on January 1, 1916, the cost basis to Acheson Corporation of the 8,798 Graphite preferred shares was $280,892.32; the book value assigned to such shares was $175,138.09. The remaining 202 Graphite shares were purchased by Acheson Corporation at various times between December 5, 1926, and May 13, 1935, for cash at $100 per share, or a total purchase price of $20,200. At the time of such purchases, the time of such purchases, the Acheson Corporation had undistributed earnings at least equal to the cost.

Pursuant to a resolution adopted by its Board of Directors on May 14, 1935, authorizing a distribution*40 of the 9,000 Graphite preferred shares in a "partial liquidation" of the corporation at the rate of one Graphite share for each one of its own shares, Acheson Corporation on May 18, 1935, distributed to Margaret M. Acheson 2,950 Graphite shares and to Guaranty Trust Company, trustee, 800 shares for each of the six separate trusts.

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