Industrial Aid for the Blind v. Commissioner

73 T.C. 96, 1979 U.S. Tax Ct. LEXIS 39
CourtUnited States Tax Court
DecidedOctober 15, 1979
DocketDocket No. 11387-77X
StatusPublished
Cited by24 cases

This text of 73 T.C. 96 (Industrial Aid for the Blind v. Commissioner) is published on Counsel Stack Legal Research, covering United States Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Industrial Aid for the Blind v. Commissioner, 73 T.C. 96, 1979 U.S. Tax Ct. LEXIS 39 (tax 1979).

Opinion

OPINION

Wilbur, Judge:

Respondent determined that petitioner does not qualify for exemption for Federal income tax under section 501(c)(3), I.R.C. 1954.1 Petitioner challenges respondent’s determination and has invoked the jurisdiction of this Court for a declaratory judgment pursuant to section 7428. The issue presented to us is whether petitioner is operated exclusively for charitable purposes within the meaning of section 501(c)(3) of the Code.

This case was submitted for decision on the stipulated administrative record under Rule 122, Tax Court Rules of Practice and Procedure. The stipulated administrative record is incorporated herein by this reference. The evidentiary facts and representations contained in the administrative record are assumed to be true for purposes of this proceeding.

Petitioner Industrial Aid for the the Blind is a Wisconsin nonstock corporation whose principal place of business has at all times relevant herein been 3603 West Vliet Street, Milwaukee, Wis.

Petitioner was organized in 1941 as a successor to Wisconsin Blind Products, Inc., and was granted exemption from Federal income tax on December 30,1941, under Internal Revenue Code of 1939, section 101(6) (the statutory predecessor of sections 501(a) and 501(c)(3)).

Petitioner was organized for the following purposes:

To engage in the business of purchasing articles and commodities heretofore or hereafter produced, completed, made, finished, manufactured or created at the Wisconsin Workshop for the Blind, or by any blind workman, and to sell such articles and commodities at retail;
To purchase fixtures, equipment and other property, to engage and employ supervisiry [sic], administrative, clerical, sales and other help, to rent, lease or otherwise acquire offices, salesrooms, warehouses and other land, buildings or space, and to incur such other obligations, all as may be expedient in the conduct of its business of purchasing and selling such articles and commodities;
To donate to the Wisconsin Workshop for the Blind, or to some other organization for the blind, in the event that the said Wisconsin Workshop for the Blind shall cease to exist or shall cease to be an organization for the blind, or in the event that the State Department of Public Welfare of Wisconsin shall designate some other beneficiary in the stead of the Wisconsin Workshop for the Blind;
(a) Each year seventy-five per cent (75%) of the net income received by the corporation in the conduct of its business of purchasing and selling such articles and commodities; the remaining twenty-five per cent (25%) is also to be so donated each year, whensoever the corporation has accumulated a surplus sufficient to enable it to carry on its business expeditiously.
(b) Upon discontinuance of said business, or upon sale thereof, or upon dissolution of this corporation, all of the assets of this corporation which it shall own after payment of all its obligations.
To perform or do such other acts, permitted by law, as will enable this corporation to increase the donations to the Wisconsin Workshop for the Blind, or such other beneficiary as hereinbefore provided.

Petitioner is the sole authorized sales agency for the Wisconsin Workshop for the Blind (hereinafter WWB), an agency of the Wisconsin State Department of Public Welfare, Division of Public Assistance. WWB employs visually handicapped persons in the production of various articles such as rugs, brooms, and mops, through a shelter-employment arrangement.

Petitioner purchases the articles made by WWB, and sells them either direct to consumers, on a door-to-door basis, or to the Federal Government. Petitioner also purchases and sells the products of 19 other workshops for the visually handicapped located throughout the United States, as well as some goods manufactured in the homes of blind individuals.

WWB and the other 19 workshops are, along with some 62 other such workshops, affiliated with National Industries for the Blind (hereinafter NIB), an organization described in section 501(c)(3). NIB was established in 1939 as an outgrowth of congressional enactment of the Wagner-O’Day Act in 1938. NIB is responsible for sales of all products made by the blind to the Federal Government and acts as a liaison between its affiliates and the President’s committee on purchases of products made by the blind.

During the period 1966-68, petitioner purchased 18 percent of its merchandise from WWB, 20 percent from a related organization, Industries for the Blind, also of Milwaukee, Wis., and 62 percent from the other 18 workshops located throughout the country. Net profits from all sales are in part distributed to visually handicapped persons employed at WWB and in part accumulated for future needs.

The distributions by petitioner of its net profits to workers at WWB are made twice a year, by way of a “bonus check” to qualified workers. Qualified workers are chosen by WWB on the basis of their having worked a minimum number of days during the preceding period. An equal amount is paid to each recipient worker. No profit distributions are made to any individuals other than workers at WWB.

The following table shows petitioner’s sales, profits, distributions, accumulations, and profit margin for each of the years 1966-68:

1966 1967 1968
Gross receipts . $191,921.66 $177,433.04 $169,923.70
Cost of goods sold .... 128,41490 115,936.49 111,518.70
Gross profit . 63,506.76 61,496.55 58,405.00
Operating expenses ... 57,582.29 54,109.83 51,329.61
Net profit . 5,924.47 7,386.72 7,075.39
Amount paid to WWB workers . 5,858.41 4,272.79 3,519.09
Amount accumulated[1] 66.06 3,113.93 3,556.30
Gross profit margin Gross profit 33.1% 34.7% 34.4%
Gross receipts
Net profit margin Net profit . 3.1% 4.2% 4.2%
Gross receipts

The petitioner contends that its exempt status should not be revoked because it is performing exclusively charitable functions principally through the marketing of products made by the blind, and incidentally by issuing small bonus checks to blind workers.

Respondent states his position in his reply brief as follows:

respondent’s determination, as set forth in the final adverse determination letter and in respondent’s opening brief herein, is based on the determination that for the years 1966 and following petitioner has been operated for the primary purpose of carrying on a trade or business at a profit, and thus petitioner is not operated within the definition of section 501(c)(3).

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Industrial Aid for the Blind v. Commissioner
73 T.C. 96 (U.S. Tax Court, 1979)

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Bluebook (online)
73 T.C. 96, 1979 U.S. Tax Ct. LEXIS 39, Counsel Stack Legal Research, https://law.counselstack.com/opinion/industrial-aid-for-the-blind-v-commissioner-tax-1979.