Indiana Department of State Revenue v. General Foods Corp.

427 N.E.2d 665
CourtIndiana Court of Appeals
DecidedOctober 14, 1981
Docket2-1180A388
StatusPublished
Cited by7 cases

This text of 427 N.E.2d 665 (Indiana Department of State Revenue v. General Foods Corp.) is published on Counsel Stack Legal Research, covering Indiana Court of Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Indiana Department of State Revenue v. General Foods Corp., 427 N.E.2d 665 (Ind. Ct. App. 1981).

Opinions

BUCHANAN, Chief Judge.

CASE SUMMARY

Appellant-defendant Indiana Department of State Revenue (Department) appeals from a trial court judgment that the Department wrongfully collected gross income tax on out-of-state shipments to Indiana customers of plaintiff-appellee General Foods Corporation (GFC).

We affirm.

FACTS

The following facts as specifically determined by the trial court under Ind.Rules of Procedure, Trial Rule 52(A), are not disputed.

Findings of Fact

1. The plaintiff, General Foods Corporation (“General Foods”), is a Delaware corporation, qualified to do business in the State of Indiana, and has its principal office located at 250 North Street, White Plains, New York.
2. The Defendant, Indiana Department of State Revenue (“Department”), is an agency of the State of Indiana and administers the Gross Income Tax Act of 1933, as amended, I.C. 6-2-1 — 1 et seq.
3. At all relevant times General Foods has been engaged in the manufacture and marketing of a comprehensive range of food and food products, primarily selling to grocery chains, wholesalers, institutional users, and jobbers. At all relevant times General Foods’ production and sales operations have been conducted through different divisions, established primarily according to the type of product involved. At all relevant times prior to April, 1973, General Foods’ production and sales operations were conducted through its Maxwell House, Birds Eye, Jell-O, Kool-Aid, Post, and Institutional Food Service Divisions! Effective April, 1973, the divisions were reorganized as the Maxwell House, [667]*667Food Products, Beverage and Breakfast Foods, Pet Foods, and Institutional Food Service Divisions. Effective October, 1976, the name of the Institutional Food Service Division was changed to Food Service Products Division.
4. Each of General Foods’ operating divisions had its own sales force and sales responsibility for its products, with the exception of the Pet Foods Division, which utilized the sales staff of the Beverage and Breakfast Foods Division. Each marketing organization is geographically divided into regions which in turn are divided into districts. Offices are maintained by General Foods both at the region and district levels. With the exception of a sales office in Indianapolis which was closed on June 7,1971, none of the General Foods’ Divisions’ sales offices, whether at the region or district level, were located in Indiana during the fiscal years ended April 3, 1971, April 1, 1972, March 31,1973, and March 30, 1974.
5. After June 7, 1971, all of General Foods’ Indiana customers were serviced by three district offices, located at Cincinnati, Ohio, Livonia, Michigan, and North-lake, Illinois. Each district office had responsibility for credit control, receipt, approval, and processing of orders, warehousing, shipping and invoicing, collecting and preparing sales and statistical analyses, and performing other data processing functions, none of which functions were performed at an Indiana office after June 7, 1971. Representatives of the three out-of-state district offices who made calls upon Indiana customers worked on a straight salary basis, had no authority with respect to customer credit approval or acceptance of orders, and had no inventory or offices located in Indiana. All purchase money paid to General Foods from orders which were accepted by the branch offices located outside of Indiana were paid to out-of-state offices of General Foods.
6. During the period in question General Foods also had a Distribution-Sales Service Division which provided certain sales and accounting functions, warehousing, and other services for various product divisions. During the period in question such Division maintained a warehouse located in Indianapolis, Indiana, which only made certain shipments to customers in central and northeastern Indiana. Shipments to all other portions of Indiana were made from distribution warehouses located outside of Indiana.
7. During the latter part of October, 1964, John P. Baker, Field Auditor for the Department audited General Foods for Indiana Gross income tax purposes for the years 1961 through 1963. For such years, and for prior periods, General Foods reported as exempt all sales to Indiana customers other than those which were made from an Indiana stock of goods. The Department treated all such sales as exempt both for the audit period and periods prior thereto, and did not assess General Foods with any additional gross income tax. During such period, and to the present, General Foods’ activities in Indiana with respect to the sales and distribution of products to Indiana customers has remained substantially unchanged.
8. For each of the fiscal years ending April 3, 1971, April 1, 1972, March 31, 1973, and March 30, 1974, General Foods reported as subject to gross income tax, and paid tax on all sales to Indiana customers which were made from an Indiana stock of goods. Consistent with its reporting for all prior years, including its method of reporting for years which were previously audited by the Department (1961 through 1963). General Foods treated sales made by offices located outside of Indiana to customers located in Indiana, pursuant to orders which were accepted by General Foods out-of-state, filled from out-of-state inventory, and for which payment was made to out-of-state offices, as not subject to gross income tax.
9. For the fiscal years ended April 3, 1971, April 1, 1972, March 31, 1973, and March 30, 1974, the Department, following an audit completed on October 14, [668]*6681977, assessed General Foods with gross income tax on all amounts received from sales to Indiana customers made by offices of General Foods located outside of Indiana, pursuant to orders accepted by out-of-state offices and the goods were shipped to the Indiana customers from warehouses or factories located outside of Indiana, if the products sold were of the type which, from time to time and in varying quantities, were stored at the Indianapolis warehouse operated by General Foods’ Distribution-Sales Service Division.
10. The Department did not treat sales of General Foods’ Institutional Food Service Division or sales of frozen food lines which were never stored in the Indianapolis warehouse as subject to tax for the fiscal years ended April 3, 1971, April 1, 1972, March 31,1973, and March 30, 1974, though such sales were made in the same manner as the sales described in paragraph 9 hereof.
11. By checks dated December 16, 1977, and July 10, 1978, General Foods paid the entire deficiency attributable to the additional assessment of tax by the Department for the fiscal years ended April 3, 1971, April 1, 1972, March 31, 1973, and March 30, 1974.
12. On April 2, 1979, General Foods timely filed claims for refund with the Department for gross income tax in the amounts of $71,695.19, $68,565.06, $70,-435.80, and $41,716.75 for the fiscal years ended April 3, 1971, April 1, 1972, March 31,1973, and March 30,1974, respectively, representing tax collected by the Department from General Foods on amounts received from sales of the type set forth in paragraph 9 hereof, and additionally claimed interest as provided by law.
13. By letter dated April 23, 1979, signed by B. J.

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427 N.E.2d 665, Counsel Stack Legal Research, https://law.counselstack.com/opinion/indiana-department-of-state-revenue-v-general-foods-corp-indctapp-1981.