Industrial Credit Co. v. Commissioner

1967 T.C. Memo. 75, 26 T.C.M. 377, 1967 Tax Ct. Memo LEXIS 185
United States Tax Court·Decided April 11, 1967·No. Docket No. 3909-65.·Unpublished

Opinion

Industrial Credit Co., Inc. v. Commissioner.
Industrial Credit Co. v. Commissioner
Docket No. 3909-65.
United States Tax Court
T.C. Memo 1967-75; 1967 Tax Ct. Memo LEXIS 185; 26 T.C.M. (CCH) 377; T.C.M. (RIA) 67075;
April 11, 1967
Peter Meloy, 555 Fuller Ave., Helena, Mont., John R. Kline, and J. Patrick Giblin, for the petitioner. Walter John Howard, Jr., for respondent.

DAWSON

Memorandum Findings of Fact and Opinion

DAWSON, Judge: Respondent determined the following income tax deficiencies against the petitioner:

YearDeficiency
1960$ 1,818.50
196110,491.86
19628,098.65

Petitioner has conceded that for each of the years 1960, 1961, and 1962 the dealer's reserve, the loan to Donald Douma, and unearned income should not be included in the accounts receivable for the application of the percentage of additions to the reserve for bad debts. The only issue for decision is whether the petitioner is entitled to deductions it claimed for additions to a reserve for bad debts for*186 the years 1960, 1961, and 1962.

Findings of Fact

Some of the facts have been stipulated and are found accordingly.

Industrial Credit Co., Inc. (hereinafter called petitioner) is a corporation organized and existing under the laws of Montana. Now and at the time the petition was filed in this proceeding, the petitioner's principal place of business was in Billings, Montana.

The petitioner was incorporated in 1958 for the purpose of engaging in the financing of industrial machinery, particularly road building equipment.

The petitioner has elected to maintain a reserve for bad debts and make additions to the reserve in accordance with section 166(c) of the Internal Revenue Code of 1954.

The petitioner filed Federal corporation income tax returns showing the following amounts as outstanding contracts receivable for the calendar years ended December 31, 1960, 1961, and 1962:

Amount12/31/6012/31/6112/31/62
Capital loaned out$1,071,171.80$1,296,608.13$1,728,281.48
Dealer's reserve500.002,256.001,574.00
Loan to Donald Douma13,221.1411,562.1910,564.54
Unearned income157,990.14182,483.85229,314.22
Total Installment Loan Contracts$1,242,883.08$1,492,910.17$1,969,734.24
Receivable

*187 Petitioner's outstanding contracts receivable for the years ended December 31, 1958, and 1959 were $564,705.22 and $1,040,833.56, respectively.

In 1960 petitioner made additions to its reserve for bad debts of $6,061.98; in 1961, $22,549.81; and in 1962, $18,953.07. The same amounts were deducted in the respective years as additions to the reserve for bad debts on petitioner's Federal income tax returns. Petitioner's reserve for bad debts was maintained for 1960 at the rate of 3 percent of its total loan contracts receivable, and for the years 1961 and 1962 at the rate of 4 percent of its total loan contracts receivable. At the end of the calendar year 1960, petitioner's books reflected a reserve for bad debts amounting to $37,286.49; in 1961, $59,836.30; and in 1962, $78,789.37.

The respondent disallowed the petitioner's addition to its reserve for bad debts in the years ended December 31, 1960, 1961, and 1962. This then left petitioner with a reserve for bad debts in each of these years of $31,224.51, which is the same as it had on December 31, 1959. The ratio of the serve for bad debts to the outstanding contracts receivable, according to the respondent, in the years before*188 the Court, is as follows:

Outstanding
YearContractsPercent or
EndingReceivableRatio
12/31/60$1,071,171.802.9%
12/31/611,296,608.132.4

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Industrial Credit Co. v. Commissioner, 1967 T.C. Memo. 75, 26 T.C.M. 377, 1967 Tax Ct. Memo LEXIS 185 (tax 1967).

1967 T.C. Memo. 75 (Industrial Credit Co. v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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