National Bank of Commerce v. Commissioner

27 T.C. 762, 1957 U.S. Tax Ct. LEXIS 267
CourtUnited States Tax Court
DecidedFebruary 8, 1957
DocketDocket No. 56324
StatusPublished
Cited by3 cases

This text of 27 T.C. 762 (National Bank of Commerce 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
National Bank of Commerce v. Commissioner, 27 T.C. 762, 1957 U.S. Tax Ct. LEXIS 267 (tax 1957).

Opinion

OPINION.

Atkins, Judge:

The respondent determined a deficiency in the petitioner’s income tax for the calendar year 1950 in the amount of $12,581.13, of which amount $3,506.90 is in dispute. The question presented is whether, in computing the petitioner’s excess profits credit based on income, the income experience of 4 banks whose assets were acquired by the petitioner in 1948 and early 1950 should be taken into account. The facts were stipulated and are incorporated herein by this reference.

The petitioner is a corporation, organized under and existing by virtue of the laws of the United States, with its principal place of business in Seattle, Washington. It filed its Federal income tax return for the taxable year 1950 with the collector of internal revenue for the district of Washington at Tacoma.

The petitioner acquired substantially all the properties of 4 State-chartered banks prior to December 1,1950.

On May 29, 1948, it acquired the following properties of Pioneer State Bank, Goldendale, Washington:

Loans and discounts_$1, 046, 023. 90
United States bonds_ 479,128.12
Municipal bonds and warrants_ 765. 75
Accrued interest and prepaid expense_ 13, 001.44
Real estate, buildings, furniture, and equipment_ 70, 000. 00
Cash and cash items_ 1,713,558. 04
Goodwill_ 75, 000. 00
Total_$3,397,477.25
Less unearned interest and miscellaneous liabilities_ 3, 646.23
$3,393,831. 02

In consideration for the acquisition of these properties, the petitioner assumed deposit liabilities of the Pioneer State Bank totaling $3,318,831.02 and also paid cash of $75,000. The Pioneer State Bank retained properties valued at $422,451.04 itemized as follows:

Loans and discounts_ $13, 416. 71
United States bonds_'_ 16, 000. 00
United States savings bonds_ 130, 300.00
Municipal bonds_,_ 27,194. 87
Miscellaneous_ 944.10
Cash_ 235, 595.36
$422,451. 04

On July 8,1948, the petitioner acquired the following properties of Almira State Bank, Almira, Washington:

Loans and discounts_ $126, 754. 60
United States bonds_ 1,038, 643.19
Municipal bonds and warrants_ 2, 842. 25
Accrued interest and prepaid expense_ 5, 301. 07
Eeal estate, building, fixtures, and equipment_ 18, 000. 00
Cash and cash items_ 713, 608. 85
Total_$1, 905,149. 96
Less unearned interest and miscellaneous liabilities_ 168. 02
$1, 904,981.94

In consideration for the acquisition of these properties, petitioner assumed deposit liabilities of the Almira State Bank totaling $1,904,981.94. The Almira State Bank retained properties valued at $109,357.42 itemized as follows:

Loans and discounts_ $2, 283. 45
United States bonds- 82, 600. 00
Municipal bonds- 3, 000.00
Miscellaneous_ 1,900. 00
Cash_ 19, 573. 97
$109,357.42

On February 11,1950, the petitioner acquired the following properties of the Bank of Auburn, Washington:

Loans and discounts_ $317,925.13
United States bonds_ 262,398.18
Accrued interest and prepaid expenses- 1,436. 61
Eeal estate, building, fixtures, and equipment- 13, 693. 50
Cash and cash items_ 496,949.40
Goodwill_ 21,575. 93
Total_$1,113,978.75
Less unearned interest and miscellaneous liabilities- 2,026. 79
$1, 111, 951.96

In consideration for the acquisition of these properties, petitioner assumed deposit liabilities of the Bank of Auburn totaling $1,017,286.97 and also paid cash of $94,664.99.

On January 28,1950, the petitioner acquired the following properties of Quincy Valley State Bank, Quincy, Washington:

Loans and discounts_$226,612.46
United States bonds_ 237, 627.21
Municipal bonds and warrants_ 6,332.30
Accrued interest and prepaid expense_ 2,081. 33
Real estate, buildings, furniture, and equipment_ 17, 000. 00
Cash and cash items_ 303, 612. 00
Goodwill_ 12,952. 93
$805, 218.23

In consideration for the acquisition of these properties, petitioner assumed deposit liabilities totaling $718,529.73 and also paid cash of $86,688.50.

No stock or securities were issued by the petitioner at the time of the acquisition of any of the foregoing properties.

After the acquisition by the petitioner of the properties and banking business of each of the 4 State banks, none of the 4 State banking corporations continued any business activities other than those incident to its complete liquidation, and within a reasonable time after ceasing business activities each completely liquidated in a transaction other than a transaction described in section 461 of the Internal Revenue Code of 1939, and each ceased its existence.

The properties of the 4 State banks acquired by the petitioner were substantially all of the properties which were used or which in the ordinary course of business replaced properties used by each of the 4 State banks in the production by each of excess profits net income for the period January 1, 1946, to the date of each of the 4 respective acquisitions.

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Related

Crater Lake Machinery Co. v. Commissioner
29 T.C. 620 (U.S. Tax Court, 1957)
National Bank of Commerce v. Commissioner
27 T.C. 762 (U.S. Tax Court, 1957)

Cite This Page — Counsel Stack

Bluebook (online)
27 T.C. 762, 1957 U.S. Tax Ct. LEXIS 267, Counsel Stack Legal Research, https://law.counselstack.com/opinion/national-bank-of-commerce-v-commissioner-tax-1957.