Fountain v. Commissioner

59 T.C. No. 69, 59 T.C. 696, 1973 U.S. Tax Ct. LEXIS 170
CourtUnited States Tax Court
DecidedFebruary 22, 1973
DocketDockets Nos. 4967-70, 4968-70, 4971-70
StatusPublished
Cited by85 cases

This text of 59 T.C. No. 69 (Fountain 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
Fountain v. Commissioner, 59 T.C. No. 69, 59 T.C. 696, 1973 U.S. Tax Ct. LEXIS 170 (tax 1973).

Opinion

Goffe, Judge:

Bespondent determined deficiencies in Federal income tax and addition to tax of the petitioners as follows:

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Upon joint motion by the parties, these cases were consolidated for trial, briefs, and opinion. The addition to tax in docket No. 4967-70 was not assigned as error by petitioners and was, therefore, conceded. Other adjustments contained in the statutory notices of deficiency were not assigned as error and other adjustments assigned as error have been settled by the parties. The issues for decision are:

(1) Whether receipt of checks of Craft Plating & Finishing, Inc., by its shareholders, C. D. Fountain and Charles E. Craft, in the respective amounts of $18,910.25 and $32,198.54 within 2y2 months after the close of the corporation’s taxable year in which it was- an electing small business corporation (taxable year ended July 31, 1967), constitutes “money” under the provisions of section 1375(f) of the Code, and if not, whether they represent dividend income because at the time of receipt (within taxable year ended July 31, 1968) the corporation was not an electing small business corporation;

(2) Whether Craft Plating & Finishing, Inc., for its taxable year ended July 31,1968, is entitled to deduct the sum of $20,100 representing a bonus to its president-shareholder, Charles E. Craft, who owned 63 percent of the stock of the corporation or whether such deduction is prohibited by section 267 (a) (2) of the Code ;

(3) Whether Craft Plating & Finishing, Inc., is entitled to deduct $6,373.47 for its taxable year ended July 31,1967, as a reserve for bad debts under section 166 or, in the alternative, as partially worthless debts; and

(4) Whether Charles E. Craft is entitled to deduct as employee business expenses in the amount of $1,498 for the taxable year 1967 the expenses attributable to the use of his personal automobile as an outside salesman for Craft Plating & Finishing, Inc., and other corporations.

GENERAL FINDINGS OF FACT

All the facts and exhibits stipulated by the parties are incorporated in our findings of fact.

Petitioner Craft Plating & Finishing, Inc. (Craft Plating), was incorporated on August 1, 1963. Its principal place of business is located near Attalla, Ala., and its principal business activity is that of metal plating of all types. It maintained its books and records and filed its income tax returns on the accrual method of accounting on taxable years ending on July 31. It filed both of its Federal income tax returns, Form 1120-S for the taxable year ended July 31, 1967, and Form 1120 for the taxable year ended July 31, 1968, with the director, Internal Revenue Service Center, Chamblee, Ga.

Petitioners C. D. and Sarah Fountain (Fountain) are husband and wife and reside at Attalla, Ala. They filed a joint Federal income tax return for the taxable year 1967 with the director, Internal Revenue Service Center, Chamblee, Ga.

Petitioners Charles E. and Rdbbie D. Craft (Craft) are husband and wife and reside at Attalla, Ala. They filed a joint Federal income tax return for the taxable year 1967 with the director, Internal Revenue Service Center, Chamblee, Ga.

1. Corporate Distributions

FINDINGS OF FACT

Craft and Fountain were the sole shareholders of Craft Plating, owning respectively 63 percent and 87 percent of the issued and outstanding shares of stock. Craft Plating elected to be treated, for Federal income tax purposes, as a “small business corporation” pursuant to sections 1371 et seq. (subch.. S), I.K.C. 1954. Such election remained in force throughout its taxable year ended July 31, 1967, but was voluntarily terminated and was not in force for its taxable year ended July 31,1968, or thereafter.

For the taxable year ended July 31, 1967, Craft Plating earned undistributed taxable income of $51,108.79 which it reported on its U.S. small business corporation income tax return (Form 1120-S) and allocated that sum of ordinary income to Fountain and Craft in the respective amounts of $18,910.25 and $32,198.54 which was in the ratio of their stock ownership in Craft Plating.

On October 14,1967, petitioners’ accountant prepared counter checks payable to Fountain and Craft in the amounts allocated to them as their respective shares of the undistributed income of Craft Plating. At the time he prepared the checks he did not ascertain whether Craft Plating had sufficient funds in its bank account to honor the checks.

The accountant delivered the checks to Craft for signature and advised him to see that he (Craft) and Fountain cashed the checks promptly in order that the funds represented by the checks would be reflected in the bank accounts of the individuals. At the time the checks were delivered, no entry was made in the Craft Plating check register to reflect the checks and the balance in the corporate checking account was insufficient to pay the checks.

At the close of the taxable year of Craft Plating on July 31, 1968, the two counter checks were discovered by the accountant in the safe of Craft Plating uncashed and he caused to be prepared an adjusting journal entry for the books of Craft Plating as follows:

Shareholder's undistributed income- $51,108. 79
Notes payable — Charles Craft_ $32,198. 54
Notes payable — C. D. Fountain- 18,910. 25
To remove from shareholders undistributed income, tax option corporation earnings and to record the withdrawal and loan of this sum by Mr. Craft and Mr. Fountain to Craft Plating and Finishing, Inc.

The posting of this entry on the books and records of Craft Plating was the first entry made on the books to reflect the counter checks.

At some time after the close of the taxable year of Craft Plating on J uly 31,1969, F ountain and Craft endorsed the checks to Craft Plating as loans to the corporation, and they were paid by the bank on October 14,1969.

Craft and Fountain reported on their income tax returns for the taxable year 1967 (the taxable year within which the corporate taxable year ending July 31,1967, ended), as income from small business corporations the identical amounts shown as allocated to them on the corporate return; i.e., $18,910.25 to Fountain and $32,198.54 to Craft.

The Commissioner, in his statutory notices of deficiency to Craft and Fountain, determined the following:

It is determined that your stare of undistributed taxable income of Craft Plating and Finishing, Inc., a small business corporation for its taxable year ended July 31, 1967, was not distributed in money witbin a two and one-balf month period after the close of its taxable year. It is also determined that the credit by the corporation to its notes payable in the amount of $18,910.26 [this amount for Fountain and $32,198.64 for Craft] (your reported share of undistributed taxable income) does not constitute a distribution in money.

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Cite This Page — Counsel Stack

Bluebook (online)
59 T.C. No. 69, 59 T.C. 696, 1973 U.S. Tax Ct. LEXIS 170, Counsel Stack Legal Research, https://law.counselstack.com/opinion/fountain-v-commissioner-tax-1973.