First Nat'l Bank v. Commissioner

44 T.C. 764, 1965 U.S. Tax Ct. LEXIS 36
CourtUnited States Tax Court
DecidedAugust 30, 1965
DocketDocket No. 258-63
StatusPublished
Cited by10 cases

This text of 44 T.C. 764 (First Nat'l Bank 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
First Nat'l Bank v. Commissioner, 44 T.C. 764, 1965 U.S. Tax Ct. LEXIS 36 (tax 1965).

Opinion

Withey, Judge:

The Commissioner has determined deficiencies in the income tax of the petitioner in the amounts of $3,975.99, $7,070.44, $5,330.43, and $7,543.15 for the years 1957, 1958, 1959, and 1960, respectively. The sole issue presented is the correctness of the Commissioner’s action in disallowing deductions of $7,646.14, $10,207.58, $10,267.69, and $14,856.87 taken by petitioner in its income tax returns for 1957,1958,1959, and 1960, respectively, as additions to its reserve for bad debts for the respective years.

FINDINGS OF FACT

Some of the facts have been stipulated and are found accordingly.

The petitioner is a national bank incorporated and doing business under the laws of the United States with its principal place of business in Olney, Ill. Petitioner was organized on July 9,1934, and continuously since that date has been engaged in the general banking business; Its Federal corporation income tax returns for the years 1957 through 1960, prepared on the calendar year basis, were filed with the district director in Springfield, Ill.

For its taxable years prior to 1947 the petitioner took deductions for bad debts by the specific chargeoff method. Following the publication in December 1947 of Mim. 6209, 1947-2 C.B. 26, and beginning with, its taxable year 1947 the petitioner adopted the reserve method of accounting for its bad debts. In so accounting for bad debts the petitioner utilized a 20-year moving average experience factor for determining the amounts of its additions to its reserve for bad debts, used a substitute bad debt experience of Olney Trust & Banking Co., sometimes hereinafter referred to as Olney Trust, Olney, Ill., for 1934 and prior years, and used its own bad debt experience for years subsequent to 1934. The petitioner had no bad debts for the period July 9,1934, the date of its organization, through December 31, 1934.

Following the publication of Rev. Ruls. 54-148, 1954-1 C.B. 60, and 54-597, 1954—2 C.B. 90, which supplemented Mim. 6209, the petitioner beginning with its income tax return for the taxable year 1954, which was executed on March 12, 1955, and continuing through the taxable years in issue herein, computed the annual addition to its reserve for bad debts by using an average bad debt loss experience factor of 0.0171 based on the average of the total percentages of its annual bad debt loss or gain to the annual net closing balance for each of the 20 years from 1929 through 1948, sometimes referred to in the record as “a frozen base period of computation of reserve.” The method by which the petitioner determined the foregoing average bad debt loss experience factor of 0.0171 is shown in Exhibit 5-E, which was placed in evidence by stipulation of the parties, and which shows the following:

(1) (2) (3) (4) (5) (6) (7)
Year Closing loan balance Ineligible loans Net closing loan balance [column (1) - column (2)] Loans written oil during year ■Recoveries during year Net bad debts (loss (or gain)) [column (4) - column (5)] Batió [column 6*r column 3]
1929-$634,448.89 $634,448.89 $730.96 $730.96 0.001
1930-546,324.61 495. 00 495.00 .001
1931. 524,881.92 524,881.92 1,648.25 1,648.25 .003
1932. 484,172.34 805.00 805.00 .002
1933. 423.447.27 423,447.27 608.50 608.50 .001
1934. 224,655.11 224,655.11 56,401.32 56,401.32 .251
1935. 242.476.49 242,476.49
1936. 316,157.52 900.78 $8.00 892.78 .003
1937. $190,651.03 217,331.25 714.50 274.31 440.19 .002
1938. 284,044.89 40.75 93.00 (52.25)
1939. 260,366.69 312,566.70 2.786.16 2,786.16 .009
1940. 236,394.57 319,811.78 7,277.90 315.16 6,962.74 .022
1941. 340,610.17 2,867.68 694.76 2,172.92 .006
1942. 4.912.50 192.23 4,720.27 .018
1943. 348,837.37 151,320.61 197,516.76 3.292.17 1,456.62 1,835.65 .009
209.06 2,108. 44 .012
1945. 378,191.24 103,156.51 275,034.73 441.74 1,326.00 (884.26) (. 003)
1946. 722,710.84 86,705.71 636,005.13 166.82 255.00 (88.18)
357.47 903.08 .001
1948. 955,683.43 3,662.75 370.75 3,292.00 .004
.342
Experience'factor (average of the total percentages — 0.342-7-20) =0.0171

Amounts shown in Exhibit 5-E above in columns (1) and (3), closing loan balance and net closing loan balance, do not include loan amounts which were written off as bad debts during any of the years involved in the exhibit. The amounts shown in column (3), net closing loan balance, represent outstanding loan balances at the end of the year reduced by the amount of ineligible loans such as unearned discounts, hypothecated loans, and applicable portions of Government insured or guaranteed loans. The amounts shown in column (6), net bad debts loss (or gain), represent, except for the year 1934, bad debts written off during the year and net of bad debt recoveries during the year. Net bad debt (gain) represents recoveries in excess of write-offs.

In computing the foregoing experience factor, the petitioner used or adapted the bad debt experience of Olney Trust for the years 1929 through 1934. On an undisclosed date prior to or during July 1933, Olney Trust was closed and placed in receivership under a receiver appointed by the auditor of public accounts of the State of Illinois, sometimes hereinafter referred to as State auditor. Thereafter, and until August 7,1934, Olney Trust continued closed and in receivership and was engaged in the process of liquidation. There is no showing that during that period any part of its business consisted of receiving deposits and making loans and discounts. About April or May 1934, representatives of Olney Trust contacted the State auditor respecting the termination of the receivership and the reopening of Olney Trust for normal banking business.

About June 1934, auditors for the State auditor made an examination of the assets and affairs of Olney Trust and concluded that certain of the assets were bad. On an undisclosed subsequent date at a meeting of such auditors and the directors of Olney Trust, the auditors recommended that certain assets, which they had concluded were bad, be charged off by Olney Trust after its reopening for normal banking business. On August 7,1934, Olney Trust, as a result of some arrangement not disclosed by the record, reopened for normal banking business. Thereupon, on that date, it eliminated from its assets, accounts receivables in the amount of $144,268.20 which the auditors for the State auditor had recommended be charged off upon the reopening of Olney Trust for normal banking business.

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First Nat'l Bank v. Commissioner
44 T.C. 764 (U.S. Tax Court, 1965)

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Bluebook (online)
44 T.C. 764, 1965 U.S. Tax Ct. LEXIS 36, Counsel Stack Legal Research, https://law.counselstack.com/opinion/first-natl-bank-v-commissioner-tax-1965.