Mid-Southern Foundation v. Commissioner

28 T.C. 918, 1957 U.S. Tax Ct. LEXIS 129
CourtUnited States Tax Court
DecidedJuly 29, 1957
DocketDocket No. 57866
StatusPublished
Cited by7 cases

This text of 28 T.C. 918 (Mid-Southern Foundation 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
Mid-Southern Foundation v. Commissioner, 28 T.C. 918, 1957 U.S. Tax Ct. LEXIS 129 (tax 1957).

Opinion

Beuoe, Judge:

Respondent determined the liability of petitioner as transferee for the deficiencies in the income tax of Madison Avenue Corporation, transferor, in the following amounts:

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In the petition filed herein, petitioner claimed that the transferor overpaid its taxes in 1950 and 1951 in the amounts of $7,342.63 and $9,881.81, respectively.

Petitioner concedes its liability as transferee and has abandoned its claim that the statute of limitations barred the imposition of transferee liability. The issues presented concern the liability of the transferor and are as follows:

(1) Whether, in the computation of the excess profits tax credit for the year 1951, and the period January 1 to June 10, 1952, inclusive, the excess of liabilities over assets at the beginning of each such year results in a “negative” equity capital amount less than zero for the purpose of computing the taxable year capital reduction.
(2) Whether, in the computation of the excess profits tax credit for the year 1950, the distributions not out of earnings and profits of such year must be reduced by the 1950 corporate earnings allocable to certain shares of stock retired by Madison Avenue Corporation in that year and limited to the amount of the equity capital at the beginning of such year.
(3) Whether, in the computation of the excess profits tax credit for 1950, 1951, and the period January 1 to June 10, 1952, inclusive, the transferor is entitled to an adjustment for base period losses from operating a farm as a branch.
(4) Whether certain rents and expenses incurred by the transferor during the base period constitute abnormal expenditures to such an extent as to permit adjustment of excess profits credits for the taxable years 1950 and 1951.

FINDINGS OF FACT.

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

The Madison Avenue Corporation was incorporated in September 1932, under the laws of the State of Tennessee. Its principal business activity was that of a real estate operator engaged in the management and leasing of office space and its principal asset was the Sterick Building in Memphis, Tennessee. Madison Avenue Corporation filed corporation income tax returns for 1950, 1951, and the period commencing January 1 and ending June 10, 1952, with the collector of internal revenue for the district of Tennessee.

The petitioner, Mid-Southern Foundation, is a corporate entity organized pursuant to the provision of section 4146 of the 1932 Code of Tennessee providing for the organization of corporations for the general welfare and not for profit. On June 9,1952, at the first meeting of its incorporators petitioner’s officers and trustees voted to acquire all the outstanding stock of Madison Avenue Corporation. Petitioner became the owner of all of Madison Avenue Corporation’s capital stock and all the assets of the Madison Avenue Corporation were transferred to and all the liabilities of such corporation were assumed by petitioner on June 10, 1952. The corporate charter of the Madison Avenue Corporation was surrendered on June 10, 1952, and recorded in the office of the secretary of state of the State of Tennessee on J une 11, 1952.

The closing balance sheet of Madison Avenue Corporation on J une 10, 1952, was as follows:

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Petitioner’s opening balance sheet on June 10,1952, was as follows:

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The fair market value of the Sterick Building on December 31, 1951, and on June 12,1952, was $4,000,000.

At the beginning of the taxable years 1950 and 1951 and the taxable period January 1 to June 10, 1952, total assets and total liabilities of Madison Avenue Corporation for the purpose of computing the excess profits tax credit were in the following amounts:

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The amount of borrowed capital for the purpose of computing the excess profits tax credit of Madison Avenue Corporation at the beginning of the taxable year 1950 was $1,041,000. The average daily borrowed capital of Madison Avenue Corporation for the purpose of computing the excess profits tax credit for the taxable years was as follows:

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For the taxable year 1950, the net income of Madison Ayenue Corporation for the purpose of computing the normal and surtax and for the purpose of computing the excess profits tax credit was in the amount of $159,423.16. For the taxable year 1951 the net income of Madison Avenue Corporation for the purpose of computing normal and surtax was in the amount of $147,217.39, and for the taxable period January 1 to June 10, 1952, the corporation’s net income for the purpose of computing normal and surtax was in the amount of ($391.95).

At the end of the period January 1 to June 10,1952, total assets of Madison Avenue Corporation for the purpose of computing the excess profits tax credit were in the amount of $893,673.13.

For the purpose of computing the excess profits tax credit under the “income method” the total normal tax net income of Madison Avenue Corporation for the 3 highest base period years, 1947 through 1949, was $233,386.13.

The total dividends received credit to be added back to the total normal tax net income of Madison Avenue Corporation for the 3 highest base period years for the purpose of computing the excess profits tax credit under the income method is $1,156.

The total amount of dividends received to be deducted from the total normal tax net income for the 3 highest base period years of Madison Avenue Corporation for the purpose of computing the excess profits tax credit under the income method is $1,360.

The excess profits net income computed under the income method of Madison Avenue Corporation for the taxable year 1950 is $175,896.79.

The excess profits net income computed under the income method of Madison Avenue Corporation for the taxable year 1951 is $179,953.57.

The excess profits net income prior to annualization computed under the income method of Madison Avenue Corporation for the taxable period January 1 to June 10,1952, is $12,415.53.

For each of the taxable periods involved, the ayerage daily amount of inadmissible assets of Madison Avenue Corporation was as follows *

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The total inadmissible assets of Madison Avenue Corporation at December 31,1949, was $224,000.12.

On June 7,1950, Madison Avenue Corporation acquired 4,725 shares of its own common stock for $1,500,000. This stock was retired by the corporation on the same date.

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Related

Wright Contracting Co. v. Commissioner
36 T.C. 620 (U.S. Tax Court, 1961)
Kentucky Farm & Cattle Co. v. Commissioner
30 T.C. 1355 (U.S. Tax Court, 1958)
Mid-Southern Foundation v. Commissioner
28 T.C. 918 (U.S. Tax Court, 1957)

Cite This Page — Counsel Stack

Bluebook (online)
28 T.C. 918, 1957 U.S. Tax Ct. LEXIS 129, Counsel Stack Legal Research, https://law.counselstack.com/opinion/mid-southern-foundation-v-commissioner-tax-1957.