Gem Jewelry Co. v. Commissioner of Internal Revenue

165 F.2d 991, 36 A.F.T.R. (P-H) 727, 1948 U.S. App. LEXIS 3952
CourtCourt of Appeals for the Fifth Circuit
DecidedJanuary 27, 1948
Docket12010
StatusPublished
Cited by28 cases

This text of 165 F.2d 991 (Gem Jewelry Co. v. Commissioner of Internal Revenue) is published on Counsel Stack Legal Research, covering Court of Appeals for the Fifth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Gem Jewelry Co. v. Commissioner of Internal Revenue, 165 F.2d 991, 36 A.F.T.R. (P-H) 727, 1948 U.S. App. LEXIS 3952 (5th Cir. 1948).

Opinion

HOLMES, Circuit Judge.

This appeal involves income and excess profits taxes for the fiscal year that ended July 31, 1941. Two questions are presented: (1) Whether the Tax Court erred in sustaining the Commissioner’s determination as to the deductions allowable as compensation for services of certain officers of the petitioner 1 ; and (2) whether said court erred in sustaining the Commissioner’s determination that the petitioner was not entitled to include in its equity invested capital the sum of $30,000, allegedly contributed as paid-in surplus. The evidence before the Tax Court consisted of the stipulation of facts agreed to by the parties, documents presented, and oral testimony.

The Tax Court disallowed portions of the salaries paid to the president and vice-president. The court correctly held that reasonableness of such compensation is a question of fact, and that, since the Commissioner’s determination was presumptively correct, it had to be overcome by credible evidence. The court was not required to accept blindly the testimony of the diamond merchant who, as an expert witness, testified that in his opinion the salaries contended for were reasonable. The *992 determination of whether the evidence is sufficient to rebut the presumption in favor of the Commissioner’s finding is for the Tax Court as trier of the facts. 2 The salaries paid were not fixed by an arm’s-length transaction, for the two Jacobs brothers controlled the corporation, 3 and we agree with the Tax Court that the evidence was insufficient.

With respect to the second question, as to whether the Tax Court correctly sustained the Commissioner’s determination that the petitioner was not entitled to include for the taxable year in its equity invested capital the sum of $30,000 allegedly contributed to paid-in surplus, we conclude that the Tax Court was correct in its holding that there was insufficient evidence to overcome the presumption of correctness of the Commissioner’s determination. The Tax Court heard the evidence, and in its opinion carefully reviewed it. It was not convinced that there was any error in the Commissioner’s findings. 4

The judgment of the Tax Court is affirmed.

1

26 U.S.C.A. Int.Rev.Code, § 23(a) (1).

2

Stiles v. Commissioner, 5 Cir., 69 F.2d 951.

3

Crescent Bed Co., Inc., v. Commissioner, 5 Cir., 133 F.2d 424.

4

Avery v. Commissioner, 5 Cir., 22 F.2d 6, 55 A.L.R. 1277.

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Bluebook (online)
165 F.2d 991, 36 A.F.T.R. (P-H) 727, 1948 U.S. App. LEXIS 3952, Counsel Stack Legal Research, https://law.counselstack.com/opinion/gem-jewelry-co-v-commissioner-of-internal-revenue-ca5-1948.