National Bank of Commerce v. Allen

211 F. 743, 1 A.F.T.R. (P-H) 319, 1914 U.S. Dist. LEXIS 1144, 1 A.F.T.R. (RIA) 319
CourtDistrict Court, E.D. Missouri
DecidedMarch 16, 1914
DocketNo. 4104
StatusPublished
Cited by5 cases

This text of 211 F. 743 (National Bank of Commerce v. Allen) is published on Counsel Stack Legal Research, covering District Court, E.D. Missouri primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
National Bank of Commerce v. Allen, 211 F. 743, 1 A.F.T.R. (P-H) 319, 1914 U.S. Dist. LEXIS 1144, 1 A.F.T.R. (RIA) 319 (E.D. Mo. 1914).

Opinion

DYER, District Judge.

The question before the court and pres-, ently to be decided is raised by the-plaintiff’s motion for judgment on pleadings.

The plaintiff filed its petition against the defendant to recover certain sums of money paid by it (under protest) to the defendant,'who was and still is the Collector of Internal Revenue for the First Collection District of Missouri.

The petition is in three counts. Under the first count judgment is asked in the sum of $1,932.31; under the second count for the sum of $1,870.43; and under the third count for the sum of $1,502.04. These several amounts are for taxes alleged by plaintiff to have been illegally assessed against it by the Commissioner of Internal Revenue for the years 1909, 1910, and 1911, and illegally and wrongfully demanded and collected of it by the defendant.. The several counts in the petition are in all respects the same, except in the amount claimed and the year for which the assessment was made. It will therefore be unnecessary to refer at length to any more than the first count. That count, omitting the purely formal parts, is as follows:

“Plaintiff further states that in the year 1910, and on or prior to the 1st day of March, 1910, in the time and in the manner provided by section 38 of the act of Congress, approved August 5, 1909, relating to special excise tax on corpora[744]*744tions, made due and proper return to the United States Commissioner of Internal. Revenue of the entire gross and net income received by it, from all sources during the year 1909, together with all other information required by said act of Congress; 'that in its said return the plaintiff, as authorized by said act of Congress, deducted from the gross amount of the income received by plaintiff during the year 1909 the sum of $193,230.98, which it had paid within and for the year 1909 for taxes imposed under the authority of the state of Missouri, and as required by the provisions of chapter 117, art. 2, of the Revised Statutes of Missouri 1909.
“Thereafter said United States Commissioner of Internal Revenue, in pursuance of such return, duly and properly assessed against this plaintiff the sum of $9,848.57 as and for the special excise corporation tax against this plaintiff on account of its said net income for- the year 1909, which said sum was in due time, to wit, on or prior to the 30th day of June, 1910, paid by this plaintiff to E. B. Allen, esquire, United States Collector of Internal Revenue for the First District of Missouri, as aforesaid.
“Plaintiff further states, however, that during the month of April, 1912, said United States Commissioner of Internal Revenue made a new, additional, and unwarranted assessment of a tax against this plaintiff in the sum of $1,932.31, as a special corporation excise tax on account of its (plaintiff’s) said net income for the year 1909, and that thereafter this plaintiff received fronj said ■Collector of Internal Revenue notice of such additional assessment, which said notice (form 647, List month of April, 1912, p. 1) notified this plaintiff that said sum of $1,932.31 had been assessed against it by the United States Commissioner of Internal Revenue as a special corporation excise tax on account of its said net income for the said year 1909, and that the same had been transmitted to said Collector of Internal Revenue for collection and was due and payable on or before the 30th day of June, 1912, and required and demanded that this plaintiff pay said Collector of Internal Revenue said amount of said additional assessment, to wit, the sum of $1,932.31.
“Plaintiff further says that this additional assessment was and is unwarranted and unlawful and contrary to the provisions of said act of Congress, and was made because said United States Commissioner of Internal Revenue and said Collector illegally claimed that this plaintiff, in making its return of its gross and net income received for the year 1909, had no light to deduct f,rom the gross amount of its income for the year 1909 the sum of $193,230.98, which plaintiff had actually paid within the year 1909, as and for taxes imposed on plaintiff under the authority of the state of Missouri.
“Whereas, in truth and in fact, said last-mentioned sum had been actually paid by this plaintiff within said year of 1909, for taxes imposed on this plaintiff under the authority of the laws of the state of Missouri, and as required by the provisions of chapter 117, art. 2, of the Revised Statutes of Missouri 1909, and was a sum which plaintiff was compelled by law to pay, and was not a sum which this plaintiff had any option to pay or refuse to pay, and was a sum which plaintiff was entitled, under the provisions of said act of Congress, to deduct from the gross amount of the income of plaintiff for'the year 1909.
“Plaintiff further says that it has never received nor recovered back from any one said sum of $193,230.98, so paid by it as aforesaid for taxes in compliance with the laws of the state of Missouri, and said sum never constituted any part of the net income of this plaintiff for the year 1909.”

The answer of the defendant is as follows:

“Defendant further admits that prior to March 1, 1910, plaintiff made a return of its gross and net income received by it from all sources during the year 1909, as required by the act of August 5, 1909, which said return was correct, except as hereinafter stated; that thereupon the Commissioner of Internal Revenue assessed against plaintiff the sum of $9,848.57, as and for the special excise corporation tax which plaintiff should pay on account of its net income for said year of 1909; that said tax was thereupon, as alleged in said petition, paid to defendant; that thereafter the Commissioner of Internal Revenue made a new and additional assessment of a tax against plaintiff in [745]*745the sum of $1,932.31, as a special corporation excise tax on account of plaintiff’s net income for said year 1909; that notice thereof was given and the payment thereof demanded, as alleged in plaintiff’s petition; that thereafter plaintiff paid said additional assessment of $1,932.31 under protest; that, at the time plaintiff paid said additional assessment, plaintiff notified the United States Commissioner of Internal Revenue and said Collector that plaintiff would take steps to recover the amount so paid by plaintiff under protest; that thereafter, on the 12th day of October, 1912, plaintiff did appeal in writing to the United States Commissioner of Internal Revenue, and did claim that said sum so paid under protest had been improperly paid; that the same had been paid under protest and did demand that said sum be refunded to plaintiff; that said claim and appeal was in writing and in due form as prescribed by the Secretary of the Treasury of the United States; that-said Commissioner of Internal Revenue denied and rejected said appeal and refused the same; and that no part of said $1,932.31 has been repaid to plaintiff.

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Cite This Page — Counsel Stack

Bluebook (online)
211 F. 743, 1 A.F.T.R. (P-H) 319, 1914 U.S. Dist. LEXIS 1144, 1 A.F.T.R. (RIA) 319, Counsel Stack Legal Research, https://law.counselstack.com/opinion/national-bank-of-commerce-v-allen-moed-1914.