Fuller v. Hofferbert

204 F.2d 592, 43 A.F.T.R. (P-H) 956, 1953 U.S. App. LEXIS 4161
CourtCourt of Appeals for the Sixth Circuit
DecidedMay 29, 1953
Docket11602
StatusPublished
Cited by22 cases

This text of 204 F.2d 592 (Fuller v. Hofferbert) is published on Counsel Stack Legal Research, covering Court of Appeals for the Sixth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Fuller v. Hofferbert, 204 F.2d 592, 43 A.F.T.R. (P-H) 956, 1953 U.S. App. LEXIS 4161 (6th Cir. 1953).

Opinion

McAllister, circuit judge.

Norman C. Fuller brought suit for refund of income tax paid for the year 1944, basing his claim upon Title 26 U.S.C.A. § 116(a) (1) and (3), and § 119(c) (3). 1 He contends that during the taxable year of 1944, he was a bona fide resident of Soviet Russia and that, under the provisions of the statute above mentioned and the Treasury Regulations promulgated thereunder, he was entitled to a refund of the amount of income tax, which he claims was erroneously and illegally assessed and collected from him by the Collector of Internal Revenue. On a trial in the district court, his claim for refund was denied, and from such judgment, he appeals.

There is no dispute that the salary which appellant received during the year 1944 was, under section 119(c) (3) above mentioned, paid to him for personal services performed without the United States.

The sole issue in the case is whether, within the intendment of the statute and regulations, Fuller was a bona fide resident of Soviet Russia during the taxable year in question.

In determining this issue, it is necessary to consider the circumstances surrounding Fuller’s journey to Russia; the services he performed there; and the nature of his stay in that country, as evidence of his intentions as to residence in Russia.

Fuller was an engineer who commenced his employment with the firm oí E. B. Badger & Sons Company, of Boston, in 1939. After having been associated with that company in various engineering projects for approximately four years, he was, in the spring of 1943, offered an assignment in Soviet Russia. It appears that the Badger Company, through a lend-lease agreement between the American government and the Soviet Russian government, was *594 designated as the consulting engineering company in the erection of a number of oil refineries for the Russian government. In carrying out its commitments, the Badger Company proposed to Fuller that he go to Russia for an indefinite stay as one of its engineers in charge of supervising the engineering services in constructing and placing in operation the new refineries. At that time, the Badger Company informed Fuller that there were at least four refining units that it had already contracted for, with a number of future units being contemplated. Fuller was, at that time, a young man twenty-seven years old, married, and had a home in Toledo, Ohio. The proposal of the Badger Company to send him to Russia in the midst of the war appealed to him for a number of reasons. There was the chance to better his situation, financially, because of the higher salary offered. There was also the challenge to him as an engineer to engage in carrying out large projects in a great undeveloped country; the opportunity for long term employment; the reputation and prestige that would result to him in his profession from having had such experiences and service; and the spirit of adventure, which probably exceeded the other considerations.

It. was planned by the Badger Company that A. Gilbert Formel, one of Fuller’s friends, and at present chief engineer for a construction company in'the East, would be associated in the Russian expedition, and would be Fuller’s immediate superior. Both Formel and Fuller were specialists and experts in the Houdry Catalytic Cracking Process, and Fuller’s title was Houdry case engineer. During the spring of 1943, Fuller, who was then working for the Badger Company at Marcus Hook, Pennsylvania, on his trips home to Toledo, had stopped off on several occasions at Sandusky, Ohio, where Mr.' Formel was working, to talk over the possibilities of the Russian assignment. They had discussed Russia with a couple of engineers who had already been in that country, and, as a result, were enthusiastic about the prospects for an engineer in that part of the world, and thought along the same lines with regard to its being an opportunity of great promise for them, professionally and financially. At that time, the relations between the American government and the Russian government were very friendly.

From June 1943 until late in the autumn, Fuller and Formel were in New York making arrangements for visas, passports, inoculations, and similar matters, and in November 1943, they left for Russia. Fuller’s route lay through the Gulf of Mexico, Central and South America, Africa, The Sudan, Egypt, Persia, Stalingrad, and Moscow, where he arrived about the middle of December, 1943. The disastrous German defeat at Stalingrad had occurred earlier • that year. After registering with the American Embassy, Fuller was sent to the village of Guriev, which, although described throughout the case as a village, contained approximately 55,000 inhabitants. Guriev is 1,500 miles distant from Moscow and is located at the mouth of the Ural River on the northern shore of the Caspian Sea. A place of extremes of temperature, ranging from 140° Fahrenheit in the summer to 40° below in the winter, and of primitive living conditions, it was a test for the adventurous.

Fuller’s work as an engineer in Russia was to assist the Russian engineers and superintendents in whatever' manner he could with regard to the engineering project. The design of the materials, as well as their fabrication, was American, and it was the job of Fuller to interpret the plans and specifications; to help the Russians in scheduling their work; and to give them suggestions and recommendations in constructing the refinery.

When Fuller and Formel first arrived in Guriev, they were put up temporarily by the Russian government in a house from which the N. K. V. D., the State Police, had evicted the people whose home it had been. Under the agreement with the Badger Company, the Russian government was obligated to provide satisfactory living quarters and furnishings for Fuller and Formel. But what appeared satisfactory to the Russians fell far below the standards which the Americans expected, and it required continual demands and arguments on their part to secure the quarters to which they *595 felt they were entitled. After several weeks of such repeated discussions and arguments, the Russians agreed to construct, and did construct, according to the plans and under the supervision of Fuller and Formel, three cottages for the use of the American engineers and for the storage of their materials and equipment. Each cottage was about 50 feet wide by 100 feet long, with cavity brick walls with dirt insulation, wood pole joists, and wooden roof with roofing paper and tar on top. The cottages were substantially built and were divided into two parts, with one apartment in front and one in the rear, each apartment having a living room, bedroom, bathroom and toilet, and kitchen. They were heated by means of a hot water boiler situated in a building which was erected in the rear of the three cottages. Each cottage had hot water radiator heat from this central heating plant. Around an area of about five acres of land upon which the cottages were built was erected a fence.

The Russians were able to supply only a few old benches and chairs to furnish the cottages. Fuller appears to have shown considerable ingenuity in securing lumber from the Russian authorities and making, with work tools, the necessary chairs and benches to furnish the cottages.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Schill v. Cincinnati Ins. Co. (Slip Opinion)
2014 Ohio 4527 (Ohio Supreme Court, 2014)
In Re Henderson
197 B.R. 147 (N.D. Alabama, 1996)
Poirier v. City of Saco
529 A.2d 329 (Supreme Judicial Court of Maine, 1987)
Goffredo v. Director
9 N.J. Tax 135 (New Jersey Tax Court, 1987)
In the Interest of J.S.M.
514 A.2d 899 (Superior Court of Pennsylvania, 1986)
In re Deeb
59 B.R. 661 (N.D. Alabama, 1986)
Wolinsky v. Bradford National Bank
34 B.R. 702 (D. Vermont, 1983)
Lord v. Commissioner
60 T.C. No. 24 (U.S. Tax Court, 1973)
Scott v. United States
432 F.2d 1388 (Court of Claims, 1970)
Adams v. Commissioner
46 T.C. 352 (U.S. Tax Court, 1966)
Baden v. United States
233 F. Supp. 185 (N.D. Ohio, 1964)
Matthew v. Commissioner
38 T.C. 417 (U.S. Tax Court, 1962)
Nelson v. Commissioner
30 T.C. 1151 (U.S. Tax Court, 1958)
McCurnin v. Commissioner
30 T.C. 143 (U.S. Tax Court, 1958)

Cite This Page — Counsel Stack

Bluebook (online)
204 F.2d 592, 43 A.F.T.R. (P-H) 956, 1953 U.S. App. LEXIS 4161, Counsel Stack Legal Research, https://law.counselstack.com/opinion/fuller-v-hofferbert-ca6-1953.