Federal Machine & Welder Co. v. Commissioner

11 T.C. 952, 1948 U.S. Tax Ct. LEXIS 25
CourtUnited States Tax Court
DecidedNovember 30, 1948
DocketDocket No. 13715
StatusPublished
Cited by8 cases

This text of 11 T.C. 952 (Federal Machine & Welder Co. 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
Federal Machine & Welder Co. v. Commissioner, 11 T.C. 952, 1948 U.S. Tax Ct. LEXIS 25 (tax 1948).

Opinion

LeMire, Judge-.

This proceeding involves deficiencies for petitioner’s taxable year ended September 30, 1941, as follows: Income tax, $76,131.11; declared value excess profits tax, $16,740.33; and excess profits tax, $158,465.94.

The questions in issue are (1) whether the income from the sale of equipment which the petitioner manufactured for export accrued in petitioner’s taxable year ended September 30, 1940, when the work was substantially completed, or in 1941, when the sale was finally consummated; (2) whether, and to what extent, if any, the compensation which the petitioner paid or accrued to its president in 1941 was excessive; and (3) whether bonuses computed on 1940 and 1941 profits, which the petitioner authorized and paid to certain of its officers and employees in the taxable years 1941 and 1942, are accruable in the latter years or in 1940 and 1941.

FINDINGS OF FACT.

The petitioner is an Ohio corporation, with its principal place of business located at Warren, Ohio. Its returns for the taxable year were filed with the collector for the eighteenth district of Ohio. The returns were made on an accrual basis, in accordance with the petitioner’s method of keeping its books and accounts.

The petitioner is engaged in the business of manufacturing electrical welding machines and other equipment.

One of the petitioner’s principal clients was Amtorg Trading Corporation, the official purchasing agency for the Russian Government. Early in the fall of 19.39 the petitioner’s president, Malcolm S. Clark, was called on the phone by B. M. Shubin, an official of Amtorg, and asked to come to Amtorg’s office to discuss a very important job. He did so a few days later and had a discussion with several of Amtorg’s officials. The proposed job consisted, essentially, of welding the end of a three-inch steel tube onto a. three-eighth-inch steel plate to form what the Russians referred to as a “heavy shock absorber.” Actually, what Amtorg wanted petitioner to make, as finally disclosed, was a machine to manufacture steel shell cases by the electric welding process. Clark explained that to his knowledge this particular type of welding had never before been done, but that his company, the petitioner, would undertake it.

Experiments were begun immediately in the petitioner’s laboratories and were continued until February 1940. Altogether, some 3,000 experimental weldings of the type specified were made under the supervision of Clark and his assistants at petitioner’s plant before a satisfactory technique for the welding operation had been worked out. After this technique was demonstrated to the satisfaction of the Amtorg officials they gave the petitioner a formal purchase order, No. 11-50/08820, dated April 20, 1940. The order specified certain “machinery, including electrical welding equipment for the production of exhaust pipes. The exhaust pipes aré to have the following specifications.” The specifications that followed were obviously for shell cases and had nothing to do with exhaust pipes. There was set out in considerable detail a description of the component parts and functions of the complete machine with which the shell cases were to be manufactured. The contract price, as specified in the purchase order, was $400,000 net total f. o. b. cars New York, boxed for export to U. S. S. R. The purchase price was to be paid $100,000 cash (irrevocable letter of credit), $25,000 each month for 4 months, and the remaining $200,000 against bill of lading upon completion of the order. Delivery was to be made on August 15, 1940. There were various provisions in the contract for inspection and tests, including the following:

* * * The final inspection fe [sic] of the machinery, and the acceptance of samples manufactured by the above equipment, is to be in strict accordance with specifications of this order, and should be made according to schedule^ attached hereto, and which becomes a part of this order.

A part of the equipment called for by the Amtorg contract was a machine for making the steel tubing. The petitioner subcontracted with the Yoder Co., of Cleveland, Ohio, for this machine, which was one of its standard products. The petitioner obtained its experimental steel tubing from Yoder. It manufactured twenty-five experimental shell cases, which Amtorg shipped to Russia during 1940. The machine performed satisfactorily at that time. Amtorg later received instructions from Russia that a mistake had been made in the specifications as to the type of steel to be used. The contract specified S. A. E. 10-10 steel, whereas, it was said, 10-15 steel should have been used. Thereafter, seventy-five additional shell cases of 10-15 steel were manufactured and shipped to Russia. After experiments with these the Russian authorities notified Amtorg by cable that in firing the cases had developed a structural weakness, and suggested that the base be reinforced in the welding process or that a stronger type of steel, 10-20, be used in both the tube and the base. Early in September the petitioner quoted Amtorg a price of $147,000 to cover the cost of the necessary changes in the welding equipment. Amtorg agreed to this price, but said that they would have to get final approval from Moscow. In the meantime, Yoder was pressing for final inspection and acceptance of the tube-forming machine which they had manufactured. This final inspection was delayed, however, on account of the inability of Yoder to supply the 10-20 steel for tests.

About the middle of September 1940, and before there had been any further material development in the negotiations between the petitioner, Amtorg, and Yoder, Clark received a telephone call from Acting Secretary of State Sumner Welles concerning the Amtorg order. Welles told Clark that our Government had information that the equipment was intended for use not by Russia, but by another country whose possession of it would not be favored by our Government, and that in all probability the export license for the equipment, which had already been obtained, would be canceled eventually. The petitioner was asked to cooperate in delaying the shipment for the time being and was told that an effort would be made by our Government to find another buyer for the equipment so that the petitioner would not suffer any loss. Clark agreed to, and did, cooperate in the matter of delaying the shipment to Russia.

There followed a series of written communications and telephone conversations between the petitioner, Yoder, and Amtorg regarding various matters relating to the proposed changes in the equipment and the final inspection and delivery thereof. The Russian officials were pressing for delivery as soon as possible, while, according to his promise, Clark was trying to delay it. The equipment was in fact never delivered to Amtorg and the export license was later canceled by the State Department. On September 22, 1940, the petitioner received the following letter from Amtorg:

Telephone LExington 2-8500 Cable Address
“Amtorg New York”
Amtorg Trading Corporation 210 Madison Avenue New York
September 22, 1940
In Your Reply Please Mention Our Reference
Federal Machine & Welder Company
Warren, Ohio

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Federal Machine & Welder Co. v. Commissioner
11 T.C. 952 (U.S. Tax Court, 1948)

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Bluebook (online)
11 T.C. 952, 1948 U.S. Tax Ct. LEXIS 25, Counsel Stack Legal Research, https://law.counselstack.com/opinion/federal-machine-welder-co-v-commissioner-tax-1948.