Exposition Souvenir Corp. v. Commissioner
This text of 4 T.C.M. 687 (Exposition Souvenir Corp. 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
*127 The New York World's Fair of 1939 was financed by the sale of interest bearing debentures which were payable out of gate receipts. Concessions were awarded to those who agreed to take the greatest amount of debentures. Petitioner, a New York corporation, acquired $130,000 worth of debentures as a condition precedent to obtaining its concessions at the Fair. Petitioner operated the concessions through two seasons and when the Fair was finally closed, disposed of the debentures at a loss of $92,399.69. At all times petitioner treated them as investments but in its income tax return for 1941 claimed the loss as a rental expense. Held, inasmuch as the debentures were not acquired for the purpose of resale but only as a condition precedent to obtaining its concessions the debentures were not excluded from the definition of capital assets contained in
Memorandum Findings of Fact and Opinion
HILL, Judge: In this proceeding the respondent determined deficiencies in income and excess profits taxes and an overassessment in income tax as follows:
| Excess | |||
| Fiscal Year | Income | Profits | Over- |
| Ending | Tax | Tax | assessment |
| May 31, 1940 | $2,125.42 | ||
| May 31, 1941 | $27,680.03 | $305.48 |
Petitioner concedes the correctness of the income tax adjustments. The remaining issue concerns petitioner's liability for excess profits tax in the amount indicated for the year ending May 31, 1941. The tax returns for the years in question were filed with the collector of internal revenue for the first district of New York.
Findings of Fact
Petitioner, a New York corporation with its offices in New York City, was organized to secure*129 and operate concessions for the sale of souvenirs and novelties at the New York World's Fair to be held in 1939. The Fair was financed by the sale of four percent interest debentures payable out of gate receipts. These debentures were issued by the New York World's Fair 1939, Inc., a New York corporation, organized not for profit to conduct the Fair. The debentures were due January 1, 1941. Bidders for concessions at the Fair were required to agree to purchase these debentures and other things being equal contracts were awarded to the bidder who agreed to buy the greatest amount. The Fair was open from May 1939 to October 1939, and reopened in May 1940. It was finally closed in October 1940.
Some $26,000,000 worth of debentures were sold to concessionaires and to business firms in the New York area.
Petitioner purchased $130,000 worth of these debentures in order to secure the desired concessions. It held them until the Fair was definitely closed in October 1940. Petitioner would have been unable to obtain the concessions either originally or renew them if the debentures had not been purchased or if they had been sold prior to the reopening of the Fair in May 1940. Petitioner operated*130 these concessions profitably during the years 1939 and 1940 while the Fair was in progress. The debentures purchased were treated as investments on petitioner's books and petitioner reported the interest thereon as income. During the years 1939 and 1940 petitioner received payments totaling $30,027.40 on account of principal, which sum was treated as a reduction of the principal amount and shown as such on petitioner's books and tax returns.
In April 1941 petitioner sold these debentures for $7,572.91 and sustained a net loss on the transaction of $92,399.69. Petitioner deducted this amount on its tax returns for the fiscal year ending May 31, 1941, as rent. The Commissioner determined that petitioner sustained a long-term capital loss and revised its income for excess profits tax purposes by eliminating this amount.
The New York World's Fair 1931, Inc. debentures owned by petitioner were capital assets acquired to enable it to obtain concessions at the Fair. They were not held for sale to customers in the ordinary course of business and their purchase was a capital expenditure.
Opinion
The question for decision is whether petitioner's loss on the debentures is a long-term*131 capital loss as determined by respondent or a business expense. Originally petitioner claimed it as in the nature of a rental expense incurred in obtaining the concessions. In its petition petitioner claimed that the loss was an ordinary business expense and deductible as such. In petitioner's brief it is stated that "The debentures were not 'capital assets' in the hands of the petitioner but were acquired solely as an expense of carrying on the petitioner's business * * *." The definition of capital assets contained in
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Cite This Page — Counsel Stack
4 T.C.M. 687, 1945 Tax Ct. Memo LEXIS 127, Counsel Stack Legal Research, https://law.counselstack.com/opinion/exposition-souvenir-corp-v-commissioner-tax-1945.