Mays v. Commissioner

1958 T.C. Memo. 156, 17 T.C.M. 773, 1958 Tax Ct. Memo LEXIS 72
CourtUnited States Tax Court
DecidedAugust 15, 1958
DocketDocket Nos. 56780, 57384.
StatusUnpublished

This text of 1958 T.C. Memo. 156 (Mays 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
Mays v. Commissioner, 1958 T.C. Memo. 156, 17 T.C.M. 773, 1958 Tax Ct. Memo LEXIS 72 (tax 1958).

Opinion

B. A. Mays and Mildred Aleene Mays v. Commissioner. Harold A. Mears and Rowena C. Mears v. Commissioner.
Mays v. Commissioner
Docket Nos. 56780, 57384.
United States Tax Court
T.C. Memo 1958-156; 1958 Tax Ct. Memo LEXIS 72; 17 T.C.M. (CCH) 773; T.C.M. (RIA) 58156;
August 15, 1958

*72 Held: Respondent's disallowance of claimed business bad debt deductions, sustained.

Clyde W. Key, Esq., Bank of Knoxville Building, Knoxville, Tenn., for the petitioners. Raymond Whiteaker, Esq., for the respondent.

BRUCE

Memorandum Findings of Fact and Opinion

BRUCE, Judge: Respondent determined deficiencies in income tax and additions to tax as follows:

Addition to Tax
DocketSec. 294Sec. 294
No.YearDeficiency(d)(1)(A)(d)(2)
567801952$4,715.28
5738419525,102.76$105.09$70.06
The sole issue for decision is whether petitioners are entitled to deductions as business bad debts in the year 1952 for their advances to Knoxville Cigar Stores Company, Inc., which became worthless during that year.

Findings of Fact

The stipulated facts and attached exhibits are incorporated herein by this reference. During the year 1952, B. A. Mays (hereinafter referred to as Mays) and Mildred Aleene Mays were husband and wife. During that year Harold A. Mears (hereinafter referred to as Mears) and Rowena C. Mears were husband and wife. During the year 1952 both the Mayses and Mearses resided in Knoxville, Tennessee, *73 and on March 17, 1953, each couple filed a joint Federal income tax return for the year 1952 with the district director of internal revenue for the district of Tennessee. Mays and Mears hereinafter jointly will be referred to as petitioners.

Since about 1928, Mears has been division sales manager in the states of Tennessee, Kentucky, Ohio, Indiana and West Virginia for the Hav-A-Tampa Cigar Company, manufacturer of several commonly known brands of cigars.

Prior to 1928, the Hav-A-Tampa line of cigars had been introduced into this territory in only a minor way, and the established wholesale distributors and chain store retail outlets were not interested in promoting the sale of these relatively unknown brands of cigars.

In order to meet this competitive situation and introduce Hav-A-Tampa merchandise to the territory, Mears determined to organize and acquire a proprietary interest in some wholesale distributors of his own. He accordingly assisted in the organization of, obtained financing for and acquired stock in corporations in Knoxville, Nashville, Bristol and Jackson, all in the state of Tennessee, that thereafter sold Hav-A-Tampa products at wholesale.

One of the corporations*74 thus promoted by Mears was John Housley Cigar Company, Inc. (hereinafter referred to as Housley), which had its situs in Knowx County, Tennessee, and is and has been engaged as a distributor of cigars, cigarettes, tobacco, pipes, sundries, confections and other similar and related merchandise.

Housley has an outstanding capital stock consisting of 750 shares, of which, during the period of time under discussion, Mays has owned 60 shares and Mears has owned 100 shares.

Many years ago Housley became financially interested in certain retail outlets that handled merchandise of which Housley was a wholesale distributor. The operation of these retail outlets by Housley proved to be very profitable to it, and also materially aided in the introduction of Hav-A-Tampa products in Mears' territory and substantially increased his personal income.

Under the provisions of Chapter 133 of the Public Acts of the General Assemply of Tennessee of 1937, the Commissioner of Finance and Taxation of the state of Tennessee was authorized to allow any dealer, distributor or agent a discount of 7 1/2 per cent of the value of tobacco tax stamps as compensation for selling and affixing such stamps to tobacco*75 products. By Chapter 126 of the Public Acts of the General Assembly of Tennessee of 1941, said Commissioner of Finance and Taxation was authorized to grant said discount to persons, firms or corporations "who sell at wholesale only" taxable tobacco products.

Shortly after the enactment of said statute of 1941, the directors and officials of Housley concluded that it was not advisable that said corporation continue to be interested in its retail outlets, as that would deprive it of the right to purchase tobacco tax stamps at a discount. Housley had approximately 2,000 customers, and if it continued to own and operate one retail cigar store it would lose the benefit of the 7 1/2 per cent discount on tobacco tax stamps sold to all of these customers.

When Housley determined to divest itself of its retail outlets, the petitioners, who were then not only stockholders but employees of Housley, negotiated for the purchase from Housley of its entire interest in said retail outlets, and petitioners thereafter operated said retail outlets, together with others as co-partners, until said business was incorporated.

In 1947 said retail business was incorporated under the laws of the state

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Cite This Page — Counsel Stack

Bluebook (online)
1958 T.C. Memo. 156, 17 T.C.M. 773, 1958 Tax Ct. Memo LEXIS 72, Counsel Stack Legal Research, https://law.counselstack.com/opinion/mays-v-commissioner-tax-1958.