Oregon Lumber Co. v. Commissioner

20 T.C. 192, 1953 U.S. Tax Ct. LEXIS 184
CourtUnited States Tax Court
DecidedApril 27, 1953
DocketDocket No. 31860
StatusPublished
Cited by15 cases

This text of 20 T.C. 192 (Oregon Lumber 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
Oregon Lumber Co. v. Commissioner, 20 T.C. 192, 1953 U.S. Tax Ct. LEXIS 184 (tax 1953).

Opinion

OPINION.

Johnson, Judge:

Respondent has determined deficiencies in income and excess profits tax as follows:

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The only issue before us is whether conveyances of certain lands by petitioner to the United States in 1940 in exchange for rights to cut and remove specified quantities of national forest timber constituted exchanges of property for property of like kind within the meaning of section 112 (b) (1), Internal Revenue Code.

All other issues in the petition grow out of and will be controlled by the ultimate decision with respect to the “exchange” question.

All of the facts are stipulated and are so found.

Petitioner, a Utah corporation, was organized under the laws of that state during the year 1889. Its principal office and place of business is at Baker, Oregon. The returns for the years involved were filed with the collector of internal revenue for the district of Oregon.

In 1940 petitioner was the fee simple owner of certain tracts of land within and adjacent to the national forests in Oregon. Part of this land contained standing timber and part of it had been cut over. Petitioner acquired some of this land prior to March 1, 1918, and the rest thereafter.

In 1940 petitioner and the United States entered into three agreements, sometimes referred to as Exchange #56, Dee Exchange, and Baker-Small Exchange, whereby the petitioner exchanged some of its land for national forest timber. These agreements were made under an Act of Congress of March 20, 1922, 42 Stat. 465 (16 U. S. C. A. 485).1

In a deed dated September 23, 1940, petitioner conveyed to tlie United States all the land it had agreed to convey under a Land Exchange Agreement dated April 3, 1940. This was the transaction referred to as Exchange #56. Under it petitioner conveyed to the United States title to approximately 44,661 acres of land in exchange for the right to cut and remove an equal value of national forest timber on an area of about 110,000 acres within the Whitman and Malheur National Forests in Oregon. The lands conveyed to the United States contained 515,408 M feet of standing timber. At the time of this exchange the fair market value of the cutting rights acquired by petitioner from the United States was $2.85 per M feet. The March 1, 1913, fair market value of the land and timber conveyed by the petitioner to the United States adjusted to the date of the exchange was $779,987.42. The cost to petitioner of this land and timber adjusted to the date of the exchange was less than either the value of the cutting rights received by it, or the March 1, 1913, value of the land and timber conveyed.

The Land Exchange Agreement is extensive and detailed. It described the land to be conveyed and lists the areas in which petitioner might cut the timber as designated by the forest officer. In part, the agreement is as follows:

(a) The proponent agrees to convey to the United States under the said acts the lands described in “List A” attached hereto and made a part of this agreement.
(b) The United States agrees to grant in exchange for the offered land and timber, and the proponent agrees to cut and remove an equal value of National Forest timber on an area of about 110,000 acres to be definitely designated on tne ground by the Forest officer in charge prior to cutting on the area described in “List B” * * *
* * * * * * *
(c) It is mutually agreed by the parties hereto that a total volume of 328,000 M feet of ponderosa pine timber will be granted in exchange for the land and timber of the proponent.

The agreement also considered such items as the time allowed for cutting, the marking of timber, when it is to be cut, definition of merchantable logs, scaling, logging plans and methods, slash disposal, fire prevention, occupancy, and improvement.

In another deed dated February 19, 1940, petitioner conveyed to the United States all the land that it had agreed to convey under a Land Exchange Agreement dated June 8, 1939. This was the transaction referred to as the Baker-Small Exchange. Petitioner conveyed to the United States title to approximately 18,354 acres of cut-over land valued at $36,681.98 in exchange for the right to cut and remove an equal value in national forest timber on an area of about 12,812 acres in the Whitman and Malheur National Forests in Oregon. The March 1, 1913, fair market value of the cut-over land adjusted to the date of the exchange was $45,885.43. The cost to petitioner of this land as adjusted to the date of the exchange was less than the value of the cutting rights received by it, but the value of the cutting rights was less than the March 1, 1913, value of the land conveyed. This agreement, like the one in Exchange #56, is likewise detailed and extensive in its consideration of the cutting requirements, the logging operations, and fire prevention methods. The agreement is in part as follows:

(a) The proponent agrees to convey to the United States under the said acts the following described lands:
* * * * * * *
(c) The United States agrees to grant in exchange for the above described offered land and timber, and the proponent agrees to cut and remove, an equal value in National Forest timber on an area of about 12,812 acres to be definitely designated on the ground by the Forest Officer in charge prior to cutting in selected areas.

In another deed dated February 19, 1940, petitioner conveyed to the United States all the land that it agreed to convey under the Land Exchange Agreement dated August 17, 1939. This was the transaction referred to as Dee Exchange. Petitioner conveyed to the United States title to approximately 920 acres of land of the agreed value of $69,502.54 in exchange for the right to cut and remove an equal value of national forest timber then standing on an area of about 1,700 acres within the Mt. Hood National Forest in Oregon. The lands conveyed contained 40,300 M feet of standing timber. The March 1, 1913, fair market value of the land and timber conveyed by the petitioner to the United States adjusted to the date of the exchange was $52,979.54. The cost to the petitioner of this land and timber adjusted to the date of the exchange was less than either the value of the cutting rights received by it or the March 1, 1913, value of the land and timber conveyed.

The terms and the form of the Land Exchange Agreement in the Dee Exchange are similar to the agreements in the other two transactions.

Tbe primary issue is whether the transactions between petitioner and the United States resulted in an exchange of property for property of like kind under section 112 (b) (1), Internal Revenue Code.2 Petitioner contends that the transactions constituted taxable exchanges and that there was a recognized gain resulting from the exchanges. Respondent’s position is that there was no recognizable gain’ or loss resulting from the exchange.

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Oregon Lumber Co. v. Commissioner
20 T.C. 192 (U.S. Tax Court, 1953)

Cite This Page — Counsel Stack

Bluebook (online)
20 T.C. 192, 1953 U.S. Tax Ct. LEXIS 184, Counsel Stack Legal Research, https://law.counselstack.com/opinion/oregon-lumber-co-v-commissioner-tax-1953.