National Home Products, Inc. v. Commissioner

71 T.C. 501, 1979 U.S. Tax Ct. LEXIS 200
CourtUnited States Tax Court
DecidedJanuary 9, 1979
DocketDocket No. 1876-75
StatusPublished
Cited by28 cases

This text of 71 T.C. 501 (National Home Products, Inc. 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 Home Products, Inc. v. Commissioner, 71 T.C. 501, 1979 U.S. Tax Ct. LEXIS 200 (tax 1979).

Opinion

Drennen, Judge:

Respondent determined deficiencies in petitioners’ income tax as follows:

National Home Products, Inc.
Year Deficiency
1967. $375,434
1970 . 22,095
Wisconsin Tobacco Co., Inc.
Year Deficiency
Apr. 30, 1966 $2,585.00
Apr. 30, 1967 520.00
1968 . 442.00
1969 . 1,516.75

The deficiencies result from partial disallowance on petitioners’ consolidated return for the taxable year 1970 of a reduction in the closing inventory of National Home Products, Inc., made in computing its cost of goods sold for 1970 and from disallowance of a deduction for legal and professional fees. Resulting loss carryback disallowances account for the deficiencies in the other taxable years.

Petitioners having stipulated that the disallowance of the deduction for legal and professional fees was proper, the issues presented in this case involve the adjustment to National Home Products, Inc.’s ending inventories. These issues are:

(1) Whether petitioners suffered actual shortages in tobacco inventories during 1970 and if so, whether their inventory records are sufficient to establish the amounts thereof.

(2) Whether petitioners had a claim for reimbursement for the value of the missing inventory which had a reasonable prospect of recovery as of December 31,1970.

(3) Whether the “reasonable prospect of recovery test” set forth in section 1.165-(l)(d)(2)(i), Income Tax Regs., is applicable to casualty losses of inventories.

FINDINGS OF FACT

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

Petitioner National Home Products, Inc., is a Delaware corporation whose principal office at the time of filing of its petition herein was in Buffalo, N.Y. Until April 1, 1974, the corporate name of petitioner, National Home Products, Inc., was Scotten, Dillon Co. Petitioner will be referred to hereinafter as Scotten, Dillon.

Petitioner Wisconsin Tobacco Co., Inc. (hereinafter referred to as Wisco), is a Wisconsin corporation whose principal office at the time of filing of its petition herein was in Yiroqua, Wis.

Scotten, Dillon filed its corporate income tax return for the taxable year 1967 with the District Director of Internal Revenue at Detroit, Mich. Wisco filed corporate income tax returns for the fiscal years ended April 30,1966, and April 30,1967, and for the year ended December 31,1968, with the District Director of Internal Revenue at Milwaukee, Wis. Wisco filed its corporate income tax return for the taxable year 1969 with the Internal Revenue Service at Kansas City, Mo. Scotten, Dillon, together with five subsidiaries including Wisco, filed a consolidated corporate income tax return for the year 1970 with the Internal Revenue Service Center at Andover, Mass.

The principal business activity of Wisco, incorporated in 1961 by Ralph R. Power (hereinafter referred to as Power) and others, was the storage and processing of tobacco. Upon incorporation and throughout the taxable years at issue, Power was president of Wisco. Its vice president, treasurer, and plant manager was James E. Buchen (hereinafter referred to as Buchen). Wisco’s tobacco warehouseman was Lynn E. Trygges-tad.

Scotten, Dillon’s principal business activity was the manufacture and sale of tobacco products, principally chewing tobacco. During the taxable years at issue, Scotten, Dillon stored its tobacco in warehouse facilities owned and maintained by Wisco. Wisco also processed Scotten, Dillon’s leaf tobacco into strips and returned it to Scotten, Dillon for manufacture into the final products. Scotten, Dillon was a publicly owned corporation whose common stock was registered under the Securities Exchange Act of 1934 and was traded on the Detroit Stock Exchange.

On July 18, 1967, Scotten, Dillon acquired 100 percent of. the outstanding capital stock of Wisco from Power and Buchen in exchange for Scotten, Dillon stock, cash, and payment of liabilities. Power and Buchen were employed by Scotten, Dillon under 5-year contracts. Power became executive vice president of Scotten, Dillon and was elected to the board of directors. In August of 1968, Power became president, treasurer, and chief executive officer of Scotten, Dillon.

A physical inventory of Scotten, Dillon’s tobaccos as of October. 31, 1969, was conducted by Richard Gross of Price Waterhouse of Milwaukee, Wis. This closing inventory listed 138,038 bales of Wisconsin leaf tobacco with a value of $2,113,085.70; 847 bales of Florida leaf tobacco with a value of $33,439.56; and 228 cartons of wrapper cuttings with a value of $19,152.1 Scotten, Dillon did not purchase any Wisconsin leaf during November and December 1969. Its Wisconsin leaf inventory per its books as of December 31, 1969 (adjusted to physical), was $1,997,566.40. Scotten, Dillon did not purchase any Wisconsin leaf during 1970.

In January 1970, John Strickler of Lancaster Leaf Tobacco Co. examined Scotten, Dillon’s inventories of Wisconsin leaf for possible purchase by Lorillard Tobacco Co. and Lancaster. Thereafter, during the months of February and March 1970, Scotten, Dillon sold in the aggregate 27,651 bales of such tobacco to Lorillard Tobacco Co., Lancaster, and Liggett & Meyers Tobacco Co. On July 24, 1970, Scotten, Dillon entered into an agreement with Lancaster to sell the latter up to 500,000 pounds of Wisconsin leaf. In August 1970, 2,585 bales of Wisconsin leaf were sold to Lancaster, and 1,287 bales were sold in September 1970. On its books, Scotten, Dillon reduced its Wisconsin leaf inventory in the amount of $429,983.95, and charged cost of goods sold in the same amount in order to reflect these transactions.

During the period January 1 to October 31, 1970, Scotten, Dillon’s books and records reflected the transfer of Wisconsin leaf to Wisco. As a result of these transfers, Scotten, Dillon reduced its Wisconsin leaf inventory as follows:

Reduction in Months Pounds Wisconsin leaf inventory
January . 400,000 $140,000
February . 400,000 -140,000
March . 400,000 140,000
April . 100,000 35,000
June . 300,000 105,000
July . 100,000 35,000
October ....:. 180,000 63,000
1,880,000 658,000

Wisco increased its inventory of Wisconsin leaf in like amounts. Scotten, Dillon recorded these transfers by charging intercom-pany receivables due from Wisco and crediting the inventory account.

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Bluebook (online)
71 T.C. 501, 1979 U.S. Tax Ct. LEXIS 200, Counsel Stack Legal Research, https://law.counselstack.com/opinion/national-home-products-inc-v-commissioner-tax-1979.