Independent Life Ins. Co. v. Commissioner

17 B.T.A. 757, 1929 BTA LEXIS 2246
CourtUnited States Board of Tax Appeals
DecidedOctober 4, 1929
DocketDocket No. 25295.
StatusPublished
Cited by25 cases

This text of 17 B.T.A. 757 (Independent Life Ins. Co. v. Commissioner) is published on Counsel Stack Legal Research, covering United States Board of Tax Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Independent Life Ins. Co. v. Commissioner, 17 B.T.A. 757, 1929 BTA LEXIS 2246 (bta 1929).

Opinions

OPINION.

Steenhagen :

The Commissioner notified petitioner of a determination of deficiencies in income tax of $298.97 for 1923 and $1,115.65 for 1924. Petitioner attacks this determination as contrary to the Revenue Act of 1921, sections 242 et seq., and similar sections of the Revenue Act of 1924, and, if necessary, contrary to the Constitution.

The facts are presented in the following stipulation:

It is hereby stipulated and agreed by and between the parties to the above entitled appeal, by their respective counsel:
(1) That the petitioner, Independent Life Insurance Company of America, is a life insurance company, with its home office located at Nashville, Tennessee.
(2) That on January 25, 1927, the respondent mailed to the petitioner a notice of deficiency, showing proposed deficiencies for the calendar years 1923 and 1924 in the amounts of $298.97 and $1,115.65, respectively. A copy of said notice of deficiency is attached hereto as Exhibit A, if being agreed that the book value of petitioner’s building for the years 1923 and 1924 and the amounts shown therein as rents received from other tenants covering space occupied by others than the Company, are correct and the facts in this case.
(3) That during the years 1923 and 1924, the petitioner owned a twelve story building located in the city of Nashville, Tennessee. The petitioner in 1923 and 1924 occupied about one story of said building as its home office and rented such portions of the remainder of the building as it was able to secure tenants for.
Exhibit A
Jan. 25, 1927.
Independent Life Insurance Company,
Independent Life Building,
Corner Fourth and Church Streets, Nashville, Tennessee.
Sirs: The determination of your income tax liability for the years 1923 and 1924, as set forth in office letter dated October 30, 1926, has been changed as the result of your letter dated November 26, 1926, to disclose a deficiency in tax amounting to $1,414.62, as shown in the attached statement.
[759]*759STATEMENT
IT :CA :2553-9-60D
In re: Independent Life Insurance Company Independent Life Building,
Corner Fourth and Church Streets,
Nashville, Tennessee.
Year Deficiency in Tax
1923 _ $298.97
1924 _1,115. 65
Total_1,414. 62
1923
Income:
Interest from all sources $19, 704. 81
Bents_ 88, 405.18
Gross income_ 108,109. 99
Deductions:
Interest exempt_$1, 948. 32
Excess of 4% of mean of reserve over exempt interest_ 20, 363. 33
Investment expenses_ 1,946. 00
Taxes_11, ⅛47. 72
Other real estate expenses_ 51,357. 46
Depreciation_ 7, 500. 00
Interest_ 8, 552. 48
Total deductions. 102, 815. 31
Adjusted net income_ 5,294. 68
In connection with the above adjustment of gross income with respect to rents, your attention is invited to Article 686, Itegulations 62, which reads in part as follows:
“ No deduction shall be made for any taxes, expenses, or depreciation on account of any real estate owned or occupied in whole or in part by a life insurance company unless there is included in the return of gross income the rental value of the space so occupied, such rental value shall not be less than a sum which in addition to any rents received from other tenants shall provide a net income (after deducting taxes, depreciation and other expenses) at the rate of 4 per cent per annum of the book value at the end of the taxable year on the real estate so owned and occupied.”
Book value of home office_$460,000. 00
Bents received from other tenants_$73, 620. 48
Less:
Expenses-$51, 357. 46
Taxes (on B. E.)_ 11,147.72
Depreciation_ 7, 500. 00
--- 70,005.18
3, 615. 30
Less: 4% of $460,000.00. 18,400. 00
Value of space owned and occupied by company to be included in gross income_ 14, 784. 70
[760]*760Kents from other tenants in building in which company occupied space_ $73, 620. 48
Total rents to be reported in gross income_ 88, 405.18
You are advised that the amount, $11,876.81, representing permanent improvements, has been eliminated from expenses in accordance with Section 245 (a) (6) of the Revenue Act of 1921.
Computation of tax
Net Income_$5,294.68
Less: Exemption_ 2, 000. 00
Taxable at 12½%_ 3,294.68
Tax at 12½%_ $411.83
Previously assessed_ 112. 86
Deficiency in tax_ 298.97
1924
Income:
Interest from all sources_ 20, 519. 85
Rents_ 105, 689. 29
Gross income BS: 3- 126, 209.14
Deductions:
Interest exempt_$1, 687. 81
Excess of 4% of mean of reserve over exempt interest 22, 773. 76
Investment expenses_ 2, 220. 34
Taxes_11,147.00
Other real estate expenses_ 67, 271. 97
Depreciation_ 7, 500. 00
Interest_ 868. 69
Total deductions_’ 113,469. 57
Adusted net income_ 12,739. 57
The adjustment for rents is made for the same reason as given in 1923. The computation is as follows:
Book value of home office_$494,257. 97
Rents received from other tenants_$71,289. 21 Less:
Expenses-$67,271.97
Taxes (on R. E.)_ 11,147.00
Depreciation_ 7, 500. 00
- 85,918.97
14,629.76

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Bluebook (online)
17 B.T.A. 757, 1929 BTA LEXIS 2246, Counsel Stack Legal Research, https://law.counselstack.com/opinion/independent-life-ins-co-v-commissioner-bta-1929.