Miller Mfg. Co. v. Commissioner

3 T.C.M. 888, 1944 Tax Ct. Memo LEXIS 131
CourtUnited States Tax Court
DecidedAugust 22, 1944
DocketDocket No. 2607.
StatusUnpublished

This text of 3 T.C.M. 888 (Miller Mfg. 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
Miller Mfg. Co. v. Commissioner, 3 T.C.M. 888, 1944 Tax Ct. Memo LEXIS 131 (tax 1944).

Opinion

Miller Manufacturing Company, Inc. v. Commissioner.
Miller Mfg. Co. v. Commissioner
Docket No. 2607.
United States Tax Court
1944 Tax Ct. Memo LEXIS 131; 3 T.C.M. (CCH) 888; T.C.M. (RIA) 44283;
August 22, 1944
*131 R. E. Cabell, Esq., Mutual Bldg., Richmond, Va., and Robert J. Heberle, Esq., State-Planters Bank Bldg., Richmond, Va., for the petitioner. L. W. Creason, Esq., for the respondent.

DISNEY

Memorandum Findings of Fact and Opinion

DISNEY, Judge: The petition herein was filed for the purpose of redetermining the following deficiencies:

Declared ValueExcess
Excess ProfitsProfits
YearIncome TaxTaxTax
1940$14,989.07$ 9,431.98$16,486.37
194112,184.7410,132.7844,510.34

The Commissioner, inter alia, adjusted the petitioner's net income for the calendar years 1940 and 1941, by adding thereto the sums of $69,800 and $94,000, respectively. The "Explanation of Adjustments," which is contained in the deficiency notice, reads as follows:

Salaries and bonuses aggregating $110,600 ($138,100) paid to the officers of the corporation for the taxable year 1940 (1941) have been reduced to $40,800 ($44,100). The amount disallowed, $69,800 ($94,000), represents excessive compensation for services rendered. 1

Certain other adjustments to the petitioner's net income for the taxable years 1940 and 1941 were made*132 by the Commissioner. They have not been assigned as error in the petition filed herein and are not in issue in these proceedings.

The only question presented to this Court for determination is what is a reasonable allowance for salary or other compensation for the personal services actually rendered to the petitioner by each of the latter's four officers during 1940 and 1941.

From evidence adduced, we make the following

Findings of Fact

Miller Manufacturing Company, Inc. (hereinafter sometimes referred to as the petitioner) is a corporation duly organized and existing under the laws of the State of Virginia, with its principal office in Richmond, Virginia. Its corporate income, declared value excess profits, and defense tax return (Form 1120) and its corporation excess profits tax return (Form 1121), for the calendar year 1940 were filed at the office of the collector of internal revenue at Richmond, Virginia, as were also its corporation income and declared value excess profits tax return (Form 1120) and its corporation excess profits tax return (Form 1121) for the calendar year 1941.

During the taxable years the petitioner owned 1,736 out of 2,000 shares of the stock of Emporia*133 Mfg. Co. of Emporia, Virginia, which it had acquired in 1938. The record contains no further information in that regard.

Petitioner's predecessor was the partnership of Miller and Miller, of which J. C. Miller owned the preponderant interest. Petitioner was organized on April 20, 1909; J. C. Miller was petitioner's president and owned a majority of its capital stock until his death in 1927. The following table contains a list of the stockholders of record in 1920, 1928, 1940, and 1941:

192019281940-1941
SHARES%SHARES%SHARES%
T. B. Saunders822.73 1/3395     9.45395     9.53
H. A. Taylor1003.33 1/3394 2/109.43394 2/109.51
H. S. Winston, Jr.602.00    262 8/106.29262 8/106.34
Geo. Wright, Jr.40     .96

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