Investors' Mortg. Sec. Co. v. Commissioner

4 T.C.M. 45, 1945 Tax Ct. Memo LEXIS 343
United States Tax Court·Decided January 17, 1945·No. Docket No. 2278.·Unpublished

Opinion

The Investors' Mortgage Security Company, Limited v. Commissioner.
Investors' Mortg. Sec. Co. v. Commissioner
Docket No. 2278.
United States Tax Court
1945 Tax Ct. Memo LEXIS 343; 4 T.C.M. (CCH) 45; T.C.M. (RIA) 45022;
January 17, 1945
*343 Marion N. Fisher, Esq., 15 Broad St., New York, N. Y., for the petitioner. Lester M. Ponder, Esq., for the respondent.

STERNHAGEN

The Commissioner determined deficiencies of $2,542.31, $1,687.65, $978.17 and $704.04 in income tax for the fiscal years ending September 30, 1937, 1938, 1939 and 1941. The petitioner assails the determination that it is taxable as a nonresident foreign corporation under Section 231(a) of the Revenue Acts of 1936 and 1938, and Internal Revenue Code, and contends that it was engaged in trade or business within the United States.

Findings of Fact

The petitioner was incorporated in 1891 under the laws of Great Britain. Its principal office is Edinburgh, Scotland. The objects for which it was organized are, inter alia, as follows:

"(a) To carry on the business of an Investment, or Lending, or Mortgage, or Trust, or Agency Company, or to undertake or do either, as principal, trustee, or agent, for any person or persons, any loaning or financial or other business, or to do all or any of these things.

"(b) The lending or investing of money as principal, or trustee, or agent, upon the security of or over any lands, hereditaments, or real*344 property of any description, or tenure, or any interest therein situated in any part of the world, or on the security of any mortgages or other liens or burdens on real estate, and the purchasing or otherwise acquiring, holding, owning, selling, or otherwise disposing of any such mortgages or other liens, or without any guarantee or collateral obligation by this Company.

"(c) The lending money upon and taking security upon, or purchasing, or otherwise acquiring, owning, and holding as principal, or trustee, or agent, warehouse, or other receipts, certificates, or warrants, bills of lading, or the contents thereof, or any crops, produce, stocking, bullion, fungibles, effects, chattels, moveables, or personal property of any kind, and pledging, selling, or otherwise disposing of the same.

"(d) The foreclosing, purchasing, leasing, or otherwise acquiring, holding, using, improving, and managing, and selling, leasing, or otherwise disposing of any real property and any interest therein, of any and every description and tenure, situated in any part of the world, and that either as principal, or trustee, or agent for any person or persons."

* * *

The income for years ended September*345 30 from sources within and the investments in the United States of petitioner were as follows:

19371938
AmountIncomeAmountIncome
Investedor LossInvestedor Loss
Class of Investment of Income
Bonds and shares$4,024,587.48$4,076,116.95
Dividends and interest$256,044.98$205,168.67
Losses on sale of stocks and bonds1,485.0946,759.18
Mortgages168,364.69126,281.94
Interest on mortgages9,099.008,104.97
Losses on sales of mortgages2,769.7915,981.35
Real estate511,269.75484,247.40
Rentals - net4,829.812,416.11
Losses on sales of real estate14,147.7910,144.88
Cash11,017.81
1939

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Investors' Mortg. Sec. Co. v. Commissioner, 4 T.C.M. 45, 1945 Tax Ct. Memo LEXIS 343 (tax 1945).

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