Oberley v. Oberley Engineering, Inc.

940 S.W.2d 953, 1997 Mo. App. LEXIS 555, 1997 WL 142097
CourtMissouri Court of Appeals
DecidedMarch 31, 1997
DocketNo. 21110
StatusPublished
Cited by7 cases

This text of 940 S.W.2d 953 (Oberley v. Oberley Engineering, Inc.) is published on Counsel Stack Legal Research, covering Missouri Court of Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Oberley v. Oberley Engineering, Inc., 940 S.W.2d 953, 1997 Mo. App. LEXIS 555, 1997 WL 142097 (Mo. Ct. App. 1997).

Opinion

PARRISH, Judge.

Oberley Engineering, Inc., (hereafter sometimes referred to as “the corporation”) appeals an award by the Labor and Industrial Relations Commission (the Commission) of benefits to Wilma Oberley, surviving spouse of George Oberley. This court affirms.

George Oberley, a licensed civil engineer, died in an automobile accident while returning home from a business meeting he attended on behalf of the corporation. He was president and sole shareholder of Ober-ley Engineering, Inc., a consulting engineering firm.

[954]*954The-corporation was an S corporation for purposes of federal income taxes. As such, it was, for most purposes, not subject to corporation income taxes. See 26 U.S.C. § 1363. Generally, income taxes on net income of an S corporation are paid by its shareholders. 26 U.S.C. § 1366. A shareholder pays income taxes applicable to his or her pro rata share of the corporation’s items of income, loss, deduction or credit. Id.

Michael Dearing prepared the corporation’s income tax returns and George Ober-leys and his wife’s personal income tax returns. The information he used in preparing the returns was provided by the Oberleys. Mr. Dearing described the records he received as a “one-write system, which is nothing more than a check ledger.”

Dearing began doing work for the Ober-leys in 1983. He recalled that the corporation “began in ’84, ’85.” He was asked the following questions about its operation and gave the following answers:

Q. Were you familiar with the status of Oberley Engineering, the corporate status?
A. At what point?
Q. At any time during the time when you rendered tax service to it or the Ober-leys?
A. You mean the status as being a subchapter S corporation?
Q. Yes, sir.
A. Yes, sir. I was the one that suggested that the 2553 form be filed.
Q. And what year did you make that recommendation to them?
A. 1984.
Q. And so from and after 1984 the business was a subchapter S business?
A. Yes, it was.

Mr. Dearing was asked about Mr. Ober-leys role in operating the business. He was asked, “Mr. Oberley wore several hats in connection with the business. I believe you said he did everything and ran it all out of his head, is that correct?” He answered, “He ran the sweeper at night.” He was asked the following questions about how Mr. Oberleys compensation was reflected on the corporation’s income tax returns and gave the following answers:

Q. The returns as filed, ’89 and ’90, reflect compensation for his duties as officer?
A. Yes.
Q. They reflect compensation for him being the sole shareholder?
A. And the carpet sweeper.
Q. Do they reflect any wages being paid for his services rendered to the corporation as the only licensed civil engineer producing the civil engineering work of the corporation?
A. Sure, he was.
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Q. I guess—
A. Mr. Ward, your answer to the question would be no. No, his wages were indirectly paid to him at the end of the year when the corporation’s profits were assessed.
Q. So no wage was paid to him, just profits?
A. Yes.
Q. Other than his compensation as officer?
A. That’s right.

The Oberleys’ income tax returns for 1989 and 1990 (Form 1040) and the corporation’s income tax returns (Form 1120S) for those years were admitted in evidence. The individual returns reflect no “wages” received by either Mr. Oberley or Mrs. Oberley. They report income derived from serving as “corporate officers” for Mr. Oberley in 1989 and 1990 and for Mrs. Oberley for 1989. Their income for services as corporate officers is reported on a Schedule C. The 1989 return includes two Schedule Cs, one for Mr. Ober-ley and one for Mrs. Oberley. The 1990 return includes a Schedule C for Mr. Ober-ley.

Mr. Oberleys 1989 Schedule C reflects income as the corporation’s president. It shows $15,000 as “[gjross receipts or sales.” There are no expenses. There is “[n]et profit” of $15,000.

[955]*955Mrs. Oberley’s 1989 Schedule C shows income as the corporation’s secretary. Six thousand dollars “[g]ross receipts or sales” is shown. There .is a “[n]et profit” of $6,000.

The total “[b]usiness income” shown on page 1 of the Form 1040 is $21,000. Two Schedule SEs for “Social Security Self-Employment Tax” are included in the 1989 return, one for Mr. Oberley and one for Mrs. Oberley. They reflect net incomes from the Schedule Cs (Form 1040) of $15,000 and $6,000, respectively.

The 1989 Form 1040 includes a Schedule E that reports income from Oberley Engineering, Inc., as an S corporation, in the amount of $2,897.33. That amount is included in net income on page 1 of the return.

The corporation’s 1989 tax return, Form 1120S, is consistent with the Oberleys’ individual tax return. It reports “[c]ompensation of officers” of $21,000 and ordinary income from business activities of $2,897.33. A Schedule K-l allocates that income to Mr. Oberley.

The Schedule C to the Oberleys’ 1990 tax return shows income to Mr. Oberley as the corporation’s president. It shows $14,000 “for 7 months only.” A Schedule SE calculates “Social Security Self-Employment Tax” based on that amount. The “[b]usiness income” on page 1 of the 1990 return reflects the net income from Mr. Oberley’s Schedule C.

The 1990 tax return includes $3,350.92 income from Oberley Engineering, Inc., as an S corporation, on Schedule E along with losses from two other S corporations. A net loss is shown. The amount of the net loss is included in the calculation of net income on page 1 of the 1990 Form 1040.

The 1990 corporation tax return is consistent with the Oberleys’ 1990 Form 1040. It reports “[Compensation of officers” of $14,-000 and ordinary income from business activities of $3,350.92. A Schedule K-l allocates that income to Mr. Oberley.

The commission found that Mr. Oberley’s total wages in the year preceding his death, from July 29, 1989, through July 28, 1990, were $20,346.1 It calculated his average weekly wage to be $391.27 and determined that his weekly benefit was $260.86.

The corporation does not contest that Mr. Oberley was an employee entitled to workers’ compensation benefits. It asserts that the record does not support the amount of benefits awarded. The corporation contends the Commission’s determination of the weekly benefit was erroneous; that the award is not supported by competent and substantial evidence. The Commission contends Mr.

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940 S.W.2d 953, 1997 Mo. App. LEXIS 555, 1997 WL 142097, Counsel Stack Legal Research, https://law.counselstack.com/opinion/oberley-v-oberley-engineering-inc-moctapp-1997.