James M. Pierce Corp. v. Commissioner

38 T.C. 643, 1962 U.S. Tax Ct. LEXIS 101
CourtUnited States Tax Court
DecidedAugust 15, 1962
DocketDocket No. 84670
StatusPublished
Cited by25 cases

This text of 38 T.C. 643 (James M. Pierce Corp. 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
James M. Pierce Corp. v. Commissioner, 38 T.C. 643, 1962 U.S. Tax Ct. LEXIS 101 (tax 1962).

Opinion

Mulroney, Judge:

The respondent determined deficiencies in petitioner’s income tax as follows:

Taxable year ended June SO— Amount
1954_ $35,129.47
1955_ 44, 242. 53
1956_ 38, 791.48
1957_ 37, 895. 74

For the taxable year 1957 the respondent originally determined a deficiency in the amount of $37,895.74, and in an amendment to his answer the respondent determined an additional deficiency of $307,546.21, making a total deficiency for that taxable year of $345,441.95. The issues remaining for our consideration are (1) whether petitioner was availed of during the taxable years before us for the purpose of avoiding the income tax with respect to its shareholders by permitting earnings and profits to accumulate instead of being divided or distributed within the meaning of section 102 of the Internal Eevenue Code of 1939 and sections 531-537 of the Internal Eevenue Code of 19541; and (2) whether respondent correctly included in petitioner’s income for the .taxable year 1957 its reserve for unearned subscriptions in the amount of $396,019.31 and its reserve for perpetual subscriptions in the amount of $40,340.25.

FINDINGS OF FACT.

Some of the facts were stipulated and they are herein included by this reference.

J ames M. Pierce Corporation, hereinafter called the petitioner, was incorporated in the State of Iowa in 1902 as the Homestead Company for the purpose of taking over a publishing business founded by James M. Pierce. In October 1929 petitioner changed its name to the James M. Pierce Corporation. Petitioner filed its corporation income tax returns for the taxable years ended June 30,1954 through 1959, with the district director of internal revenue for the district of Iowa, at Des Moines. Petitioner maintains its accounting records and files its income tax returns on an accrual method of accounting.

During the taxable years petitioner was engaged in publishing and distributing a farm newspaper known as Wallaces’ Farmer and Iowa Homestead. Petitioner also conducted a job printing business. Petitioner has maintained its principal place of business at 1912 Grand Avenue in Des Moines, Iowa. The land at that location was purchased by petitioner in 1913 and the first buildings were erected on the site by petitioner in 1914 and 1915, with additional buildings erected in 1920 and 1951!

On September 21, 1929, petitioner sold its real estate, machinery, and equipment, and all assets relating to its job printing business and to the publication of the Iowa Homestead to the Wallace Publishing Company, publisher of a farm newspaper known as Wallaces’ Farmer. After the sale the two farm newspapers (the Iowa Homestead and Wallaces’ Farmer) were combined into one farm newspaper, Wallaces’ Farmer and Iowa Homestead. Wallace Publishing Company became delinquent in its purchase contract on October 15, 1931, foreclosure proceedings were instituted by petitioner, and on April 2,1932, Dante M. Pierce was appointed receiver and he assumed direct management of Wallace Publishing Company during receivership. In December 1935 petitioner purchased at a sheriff’s sale all of the property owned by Wallace Publishing Company and used in the operation of its business. Judgment had been entered against Wallace Publishing Company for $2,230,950.40; the property was bid in by petitioner for a total of $1,013,000; and the petitioner assumed the liabilities of Wallace Publishing Company, including liabilities for unearned subscriptions. Included in the assets of Wallace Publishing Company acquired by the petitioner in December 1935 was “Circulation Structure” in the amount of $158,282.14.

Dante M. Pierce succeeded his father, James M. Pierce, as president and general manager of the petitioner in 1920 and served in such capacity until his death on July 27, 1955. Hi chard S. Pierce, son of Dante M. Pierce, succeeded his father as president and as publisher of petitioner’s newspaper.

During the taxable years 1954 through 1957 the petitioner’s outstanding capital stock consisted of 2,000 shares of common stock having a par value of $100 per share. During the petitioner’s taxable year 1954 and as of the date of death of Dante M. Pierce, July 27, 1955, the petitioner’s common stock was owned as follows:

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On June 30, 1957, the petitioner’s common stock was owned as follows:

The relationships of the several stockholders to Dante M. Pierce were as follows: Anne Pierce Schnabel, sister; Raj S. Pierce, brother; Elsie S. Pierce, sister-in-law; James M. Pierce, nephew; Plugo Schnabel, Jr., nephew.

Since 1929 petitioner has owned stock in the Wisconsin Farmer Company, a Wisconsin corporation, which publishes an agriculture newspaper. During the taxable years and as of June 28, 1957, the Wisconsin Farmer Company had a total of 400 shares of no-par-value common stock outstanding, of which petitioner owned 300 shares, and a total of 1,250 shares of 7 percent, $100-par-value preferred stock, of which petitioner owned 1,175 shares.

The principal properties left by Dante M. Pierce, who died July 27, 1955, were his 1,020 shares of $100-par-value common stock of petitioner, representing 51 percent of the outstanding stock, and $74,341.40 of life insurance proceeds, all of which insurance proceeds were payable to his widow. At the time of his death Dante M. Pierce was indebted to petitioner in the amount of $180,400, in that he had been making withdrawals from petitioner for a period of years, and petitioner owed Dante M. Pierce $20,400, representing unpaid dividends for 1931, so that the net amount due petitioner by Dante M. Pierce at the date of his death for previous withdrawals was $160,000. These withdrawals were not evidenced by notes in favor of petitioner, drew no interest, had no maturity date, and (except for the amount of $20,400) did not appear on the balance sheets of the petitioner at the end of its fiscal years 1953, 1954, and 1955. It was Dante’s practice in these years to borrow money from a bank just prior to the end of petitioner’s fiscal year, repay petitioner the outstanding withdrawals (except for $20,400), and then after the end of the fiscal year make further withdrawals from the petitioner which were used by Dante to repay his obligations to the bank.

If repayments had not been made by Dante M. Pierce at or just prior to the end of each fiscal year (and after allowing credit for $20,400 representing unpaid dividends for 1931), the liability of Dante M. Pierce to petitioner on June 30 of each of the years 1951 through 1955 would have been $19,000, $15,000, $97,000, $120,000, and $160,000, respectively.

At a special meeting of the board of directors of petitioner held on September 2, 1955, Richard S. Pierce, executor-nominee of the estate . of Dante M. Pierce, notified the board of directors and the stockholders that at the time of Ms death Dante M. Pierce owed a net indebtedness of $160,000 to the petitioner. Petitioner filed a claim against the estate for this amount. The obligation of the estate to petitioner in the amount of $160,000 remained outstanding through June 30,1957.

The estate of Dante M.

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James M. Pierce Corp. v. Commissioner
38 T.C. 643 (U.S. Tax Court, 1962)

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Bluebook (online)
38 T.C. 643, 1962 U.S. Tax Ct. LEXIS 101, Counsel Stack Legal Research, https://law.counselstack.com/opinion/james-m-pierce-corp-v-commissioner-tax-1962.