John B. Canepa Co. v. Commissioner

1963 T.C. Memo. 337, 22 T.C.M. 1770, 1963 Tax Ct. Memo LEXIS 12
CourtUnited States Tax Court
DecidedDecember 24, 1963
DocketDocket No. 95340.
StatusUnpublished
Cited by1 cases

This text of 1963 T.C. Memo. 337 (John B. Canepa Co. 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
John B. Canepa Co. v. Commissioner, 1963 T.C. Memo. 337, 22 T.C.M. 1770, 1963 Tax Ct. Memo LEXIS 12 (tax 1963).

Opinion

The John B. Canepa Company v. Commissioner.
John B. Canepa Co. v. Commissioner
Docket No. 95340.
United States Tax Court
T.C. Memo 1963-337; 1963 Tax Ct. Memo LEXIS 12; 22 T.C.M. (CCH) 1770; T.C.M. (RIA) 63337;
December 24, 1963
Jack B. Moore and Howard G. Krane for the petitioner. Charles B. Wolfe, Jr., for the respondent.

TRAIN

Memorandum Findings of Fact and Opinion

TRAIN, Judge: The respondent determined a deficiency of $10,725 in the petitioner's income tax for the year 1957.

The only issue is whether certain payments made in 1957 to the widow of*13 a deceased officer of the petitioner are deductible.

Findings of Fact

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

The petitioner is an Illinois corporation having its principal place of business in Chicago, Illinois, and is engaged in the business of manufacturing and selling macaroni, spaghetti and related food products. It filed its income tax return for the calendar year 1957 on an accrual basis with the district director of internal revenue at Chicago, Illinois.

James P. Canepa (hereinafter sometimes referred to as James) died on September 1, 1955. Edith King Canepa (hereinafter sometimes referred to as Edith), the wife of James, survived him. At the time of his death, James was vice president and secretary of petitioner and a member of its board of directors. He had been an officer of petitioner since 1923 and had been vice president and secretary at least since 1946. Petitioner's only other officer at the time of after sometimes referred to as John), a brother of James, who served as president and treasurer. James had been in full charge of petitioner's sales in the Chicago area and had personally contacted petitioner's Chicago customers. Petitioner's sales*14 in the Chicago market, which James had been responsible for developing, represented 35 to 40 percent of its total sales. On petitioner's income tax return for 1955, its total sales (less returns and allowances) were reported as $2,805,859.21. James also performed valuable services in public relations for petitioner and aided in the formulation of advertising and promotional programs.

During the years 1946 through 1955 James received compensation from petitioner as follows:

YearAmount
1946$17,000.00
194717,000.00
194818,149.94
194921,600.00
195022,391.65
195123,499.96
195223,500.00
195327,499.92
195427,500.00
195520,625.00 *

The board of directors of petitioner, then consisting of John V. Canepa, Albert J. Bono, Benjamin C. Ryden and J. Edward Long, held a meeting on October 4, 1955, minutes of the meeting recite the adoption of the following resolution:

WHEREAS James P. Canepa, Vice President and Secretary of this Company for many years, died September 1, 1955, and the Company has thereby suffered a great loss, and

WHEREAS this Board of Directors desired, in recognition of the services*15 rendered by Mr. Canepa, that an amount equal to Mr. Canepa's salary for two years shall be paid by this Company to his widow for a limited period after his death,

RESOLVED that in recognition of the valuable services rendered to this Company by Mr. Canepa prior to his death this Board of Directors hereby authorized the payment by this Company to Mr. Canepa's widow, Edith King Canepa, of a sum equivalent to the total of two years' salary at the same rate which was being paid to Mr. Canepa at the date of his death, said sum to be paid in 24 monthly installments beginning as of October 1, 1955.

Albert J. Bono was a half-brother to James and John. Benjamin C. Ryden and J. Edward Long were not related to James, Edith, John or Bono.

In authorizing the payments to Edith, petitioner's directors considered the favorable effect which the making of such payments might have upon the morale and incentive of petitioner's executives and employees, and the resulting benefit to petitioner.

Petitioner had no pension, profit-sharing or formal plan for providing retirement of death benefits for its employees, nor was it under any contractual obligation to make any payments to Edith upon her husband's*16 death.

Pursuant to the authorization by petitioner's board of directors, petitioner made payments to Edith in 1955, 1956, and 1957 as follows:

YearAmount
1955$ 6,875
195627,500
195720,625
Total$55,000

Federal income tax, but no F.I.C.A. tax, was withheld from the payments made to Edith during 1955. No Federal taxes were withheld during 1956 and 1957.

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1963 T.C. Memo. 337, 22 T.C.M. 1770, 1963 Tax Ct. Memo LEXIS 12, Counsel Stack Legal Research, https://law.counselstack.com/opinion/john-b-canepa-co-v-commissioner-tax-1963.