Fowler v. United States

69 F. Supp. 528, 35 A.F.T.R. (P-H) 757, 1946 U.S. Dist. LEXIS 1814
CourtDistrict Court, E.D. Missouri
DecidedDecember 16, 1946
DocketCiv. A. No. 2695
StatusPublished

This text of 69 F. Supp. 528 (Fowler v. United States) is published on Counsel Stack Legal Research, covering District Court, E.D. Missouri primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Fowler v. United States, 69 F. Supp. 528, 35 A.F.T.R. (P-H) 757, 1946 U.S. Dist. LEXIS 1814 (E.D. Mo. 1946).

Opinion

MOORE, District Judge.

This action having been tried by the Court without a jury, the Court makes the following findings of fact and conclusions of law:

Findings of Fact

The facts contained in the written stipulation filed at the trial, which are as follows:

1. Prior to January 1, 1935, James Fowler was the sole owner of the plumbing business located at St. Louis, Missouri.

2. On December 4, 1937, James Fowler executed and delivered a bill of sale by which he transferred to himself and his sons, Fenton, Charles and Fred Fowler, the raw materials, finished products, automotive equipment, furniture and fixtures, ledger accounts and good will of the plumbing business. A true and correct copy of this instrument is attached to the complaint as Exhibit A and is incorporated herein as though set out in full.

3. On December 4, 1937, James, Fen-ton, Charles and Fred Fowler executed an [529]*529instrument designated as a “Declaration of Trust of the Fowler Trust Estate”, a copy of which appears as Exhibit B of the complaint and which is incorporated herein as though set out in full. This instrument was duly recorded on December 29, 1937, in the office of the Recorder of Deeds, St. Louis, Missouri, in the name of “Fowler Plumbing Company (Business Trust).”

4. Pursuant to the terms of the instrument referred to in the preceding paragraph, instruments designated as “Certificates of Interest of Cestui Que Trust in the Fowler Trust Estate” were issued to James, Fenton, Charles and Fred Fowler. True and correct copies of these “Certificates” are attached to the complaint as Exhibits C, D, E and F and are incorporated herein as, though set out in full.

5. On October 21, 1938, a subsequent instrument was executed by James, Fenton, Charles and Fred Fowler, in which James and Fenton Fowler were designated as trustees of the Fowler Plumbing Company (A Business Trust). A true and correct copy of this instrument is attached to complaint as Exhibit H and is incorporated herein as though set out in full.

6. In 1942, the Fowlers entered into an “Agreement” which was filed and recorded on September 22, 1942, with the City Recorder, St. Louis, Missouri. A copy thereof is attached to the complaint as Exhibit G and is incorporated herein as though set out in full.

7. On or about March 15, 1940, the Fowler Plumbing Company filed a fiduciary income tax return (Form 1041) for the Calendar year 1939. The return showed total income of $5,409.29 and deductions of $5,000 representing amounts distributable to beneficiaries, or net income of $409.29 upon which no tax was due in view of the personal exemption of $1,000.

8. Thereafter as a result of its investigation, the Bureau of Internal Revenue determined that the Fowler Plumbing Company was an association taxable as a corporation. Accordingly, corporate income taxes for the calendar year 1939 in the amount of $682.30 and interest of $72.08 were duly assessed on the basis that the Fowler Plumbing Company was an association taxable as a corporation. The foregoing tax and interest totaling $754.38 was paid on December 30, 1941.

9. On or about March 31, 1941, the Fowler Plumbing Company filed a fiduciary income tax return (Form 1041) for the calendar year 1940. The return showed total income of $5,873.42 and deductions of $5,-100 representing amounts distributable to beneficiaries or net income of $773.42 upon which no tax was due.

10. Thereafter as a result of its investigation, the Bureau of Internal Revenue determined that the Fowler Plumbing Company was an association taxable as a corporation. Accordingly, corporate income taxes for the calendar year 1940 in the amount of $886.61 and interest of $40.47 were duly assessed on the basis that the Fowler Plumbing Company was an association taxable as a corporation. The foregoing tax and interest totaling $987.08 was paid on December 30, 1941.

11. On or about March 14, 1942, the Fowler Plumbing Company filed a corporate income and declared-value excess profits tax return (Form 1120) for the calendar year 1941 showing total tax due of $70.37 which amount was paid on the date of filing.

12. On August 17, 1942, the Fowler Plumbing Company filed refund1 claims for the taxes and interest referred to in Paragraphs 8, 10, and 11 above, alleging that: “The Fowler Plumbing Company was a general partnership * * *, the partners being James Fowler, Fenton Fowler, Charles Fowler and Fred Fowler. The tax here involved was computed on the basis that the Fowler Plumbing Company was an association taxable as a corporation. As of January 1, 1938, a certain instrument in writing, dated December 27, was entered into and recorded in the official records of the City of St. Louis, which instrument purported to create a ‘business trust’, but which instrument was void and of no legal effect because under such instrument and parol understanding the trustees and the [530]*530beneficiaries were one and the same persons.”

The refund claims for the years 1939 and 1940 were rejected by the Commissioner of Internal Revenue by registered letter dated July 13, 1943. The refund claim for 1941 was duly rejected by the Commissioner of Internal Revenue by registered letter dated February 5, 1944.

13. On or about November 18, 1942, the Fowler Plumbing Company filed capital stock tax returns (Form 707) upon which taxes and interest were assessed as follows:

Period Tax

Year ended 6/30/38 $60.00

Year ended 6/30/39 57.00

Year ended 6/30/40 68.20

The foregoing amounts were paid on November 18, 1941 and refund claims therefor filed on August 17, 1942, on the ground that: “The Fowler Plumbing Company was a general partnership * * *, the partners being James Fowler, Fenton Fowler, Charles Fowler and Fred Fowler. The tax here involved was computed on the basis that the Fowler Plumbing Company was an association taxable as a corporation. As of January 1, 1938, a certain instrument in writing, dated December 27, 1937, was entered into and recorded in the official records of the City of St. Louis, which instrument purported to create a '‘business trust’, but which instrument was void and of no legal effect because under such instrument and parol understanding the trustees and the beneficiaries were one and same persons.”

These claims were duly rejected by the Commissioner of Internal Revenue by registered letter of January 16, 1943.

14. For the period July 1, 1938 to June 30, 1942, inclusive, the Fowler Plumbing Company filed employer’s returns under Title VIII of the Social Security Act, 42 U.S.C.A. § 1001 et seq., and Chapter 9 of the Internal Revenue Code, 26 U.S.C.A. Int.Rev.Code, § 1400 et seq. The taxes reported were duly paid in the amounts and on the dates shown in Exhibit I of the complaint which is incorporated herein as though set out in full. These returns showed as wages amounts paid by the Fowler Plumbing Company to Fenton, Charles and Fred Fowler. The amounts paid to Fenton, Charles and Fred Fowler for each of the periods and the amounts of employer’s and employee’s taxes paid by the Fowler Plumbing Company with respect to such payments is shown in Exhibit J attached to the complaint which is incorporated herein as though set out in full. During the period in litigation, the Fowler Plumbing Company paid employer’s and employee’s tax totaling $635.92 on account of amounts paid by it to Charles, Fred and Fenton Fowler, as more fully appears from Exhibit J.

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69 F. Supp. 528, 35 A.F.T.R. (P-H) 757, 1946 U.S. Dist. LEXIS 1814, Counsel Stack Legal Research, https://law.counselstack.com/opinion/fowler-v-united-states-moed-1946.