Filler, Wilson & McClelland v. Commissioner

20 B.T.A. 410, 1930 BTA LEXIS 2132
United States Board of Tax Appeals·Decided July 30, 1930·No. Docket No. 21136.·Published·Cited by 1 cases

Opinion

OPINION.

Sternhagen :

This proceeding involves a deficiency of $2,3TT.04 in income and profits taxes for 1922. Petitioner seeks personal service classification, under section 200, Revenue Act of 1921. The record consists entirely of the following signed stipulation filed at the hearing.

It is hereby stipulated:
1. Of the capital stock of the taxpayer, 80% was owned by P. A. Filler, vice-president. The remainder, 20%, was owned by Pauline G. Filler, mother of the said P. A. Filler, and was received by her as a gift from the said P. A, Filler.
2. The said Pauline G. Filler was a non-active member of the corporation.
[411]*4113. The said P. A. Filler was regularly engaged in the active conduct of the affairs of the corporation.
4. The gross income of the taxpayer for the fiscal year here under consideration was $79,564.14. As shown on the tax return $78,309.45 of this amount consisted of commissions and $1,254.69 of other income.
5. The total of $30,288.50 shown in Schedule A-12 of the tax return as “ Salaries ” contains, among others, the following salesmen’s salaries:
P. A. Filler_$3, 000. 00
P. W. Wilson_ 3,600.00
George H. McClelland_ 3,000.00
Total_$9, 600.00
The other salaries contained in the said total of $30,288.50 were as follows:
A. T. A. Filler_ $7,200.00
Yardmen (average number — 4), bookkeeper, comptom-eter operator, and stenographer_ 13,488. 50
Total-;-$20, 688. 50
Said A. T. A. Filler was the father of said P. A. Filler, and husband of said Pauline G. Filler. He served as office manager during the year in con-
troversy. He was, throughout the said year, unable to serve in any other capacity on account of partial paralysis. His duties consisted only of being in the office and nodding assent or dissent to questions put to him.
6.It will be noted that the names of the said P. W. Wilson and George H. McClelland appear in the name of the taxpayer corporation in spite of the fact that those individuals were not stockholders. The exact nature of their agreement with P. A. Filler and the taxpayer is contained in the following:
Memorandum of Agreement, Made this 10th day of August, 1917, between Paul A. Filler, of the first part, P. W. Wilson, of the second part, and George McClelland, of the third part.
WITNESSETH
First: Said first party is hereby agreed to be the owner of the business now being conducted under the name of Filler,- Wilson & McClelland, at 178 Exchange Building, Union Stock Yards, Chicago. Said second and third parties are only nominal partners of the said first party, but consent to the use of their names as partners, and to the use of the aforesaid name of Filler, Wilson & McClelland by the first party during the period of this agreement.
Second : And further consent that first party may cause the formation of a corporation under the name of Filler, Wilson & McClelland, for the purpose of carrying on the live stock commission business now being conducted under that name.
Third: It is further agreed that said Paul A. Filler, or such attorney-in-fact as may be named by him shall alone have power to sign the aforesaid firm name of Filler, Wilson & McClelland to all notes, checks and other like financial obligations.
Fourth : First party hereby employs second party as a cattle salesman at a monthly compensation of Two Hundred and Fifty ($250.00) Dollars, plus one-half (Y¡) commissions on all business brought to Filler, Wilson & McClelland by the said second party.
Fifth : Said first party hereby employs third party as a hog salesman at a monthly compensation of Two Hundred ($200.00) Dollars, plus one-[412] half (14) commissions on all business brought to said Filler, Wilson & McClelland by third party.
Sixth : The period of this agreement, including the aforesaid employment of second and third parties, shall end on December 31, 1917; provided, however, that same may be renewed or extended by mutual consent of the parties, and provided, further, that in the event said parties continue their aforesaid association after that period without the execution of a further agreement, they shall be deemed to have continued such association on the same terms as are herein mentioned; and provided further, that in the event of the formation of a corporation by the said first party, under the name of Filler, Wilson & McClelland, for the purpose of conducting such business, this contract may be and shall be assigned to said corporation, and second and third parties shall continue as such employees of said corporation, on the aforesaid terms and for the aforesaid period.
Witness Otjb Hands and Seals, the day and year first above written.
P. A. Filler. (seal.)
P. W. Wilson. (seal.)
Geo. McClelland, (seal.)
P. A. Filler, P. W. Wilson and George H. McClelland joined their respective clienteles for their mutual benefit, especially for the sake of exchange of services and economy in office and other expenses, and the agreement marked Exhibit A grew out of the intention of P. A. Filler to incorporate his end of the business.
7. The commissions paid to P. W. Wilson and George H. McClelland under said agreement during the taxable year totaled $9,874.87. This amount is shown in Schedule A-12 of the tax return as “ Commissions as Salaries.”
8. Consequently under said agreement the gross commissions received by the taxpayer on the business done by P. W. Wilson and George H. McClelland was twice $9,874.87, or $19,749.74.
9. The gross commissions received by the taxpayer on the business done by P. A. Filler alone was $58,559.71, as follows:
Total commissions received by taxpayer (Fact No. 4 above)_$78,309. 45
Deduct commissions received by taxpayer on business done by P. W.
Wilson and George H. McClelland (Fact No. 6 above)- 19,749.74
Commissions received by taxpayer on business done by P. A.
Filler alone- 58, 559.71
10. The total paid by the taxpayer to P. W. Wilson and George H. McClelland during the taxable year was $16,474.87 as follows:
Salaries (Fact No. 5 above)_$6,600.00
Half-commissions (Fact No. 7 above)- 9,874.87
Total_ 16,474.87

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Filler, Wilson & McClelland v. Commissioner, 20 B.T.A. 410, 1930 BTA LEXIS 2132 (bta 1930).

20 B.T.A. 410 (Filler, Wilson & McClelland v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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Filler, Wilson & McClelland v. Commissioner
20 B.T.A. 410 (Board of Tax Appeals, 1930)