James H. Bunce Co. v. Commissioner

1 B.T.A. 848, 1925 BTA LEXIS 2791
CourtUnited States Board of Tax Appeals
DecidedMarch 18, 1925
DocketDocket No. 319.
StatusPublished

This text of 1 B.T.A. 848 (James H. Bunce 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
James H. Bunce Co. v. Commissioner, 1 B.T.A. 848, 1925 BTA LEXIS 2791 (bta 1925).

Opinion

OFINION.

Ivins :

At the hearing the taxpayer admitted the correctness of the 1911 deficiency and of so much of the deficiency for 1918 as resulted from a disallowance of certain discount deductions from the closing inventories of 1917 and 1918, leaving the only question at issue that of whether the closing inventory at December 31, 1918, should be in the amount of $172,032.01, as determined by the Commissioner, or $160,701.99, as claimed by the taxpayer.

_ The taxpayer’s method of taking its inventory was a hybrid combination of the so-called retail method, the cost method, and the cost or market whichever .is lower method. It was done in such a way as to make it impossible of direct checking, and we feel that in the circumstances the Commissioner was correct in rejecting the inventory as submitted by the taxpayer and in reconstructing the inventory upon the basis of cost, which was the basis used in closing the inventory for the previous year.

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Related

Appeal of James H. Bunce Co.
1 B.T.A. 848 (Board of Tax Appeals, 1925)

Cite This Page — Counsel Stack

Bluebook (online)
1 B.T.A. 848, 1925 BTA LEXIS 2791, Counsel Stack Legal Research, https://law.counselstack.com/opinion/james-h-bunce-co-v-commissioner-bta-1925.