Overland Corp. v. Commissioner

34 T.C. 1001, 1960 U.S. Tax Ct. LEXIS 73
CourtUnited States Tax Court
DecidedSeptember 16, 1960
DocketDocket No. 27836
StatusPublished
Cited by17 cases

This text of 34 T.C. 1001 (Overland Corp. 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
Overland Corp. v. Commissioner, 34 T.C. 1001, 1960 U.S. Tax Ct. LEXIS 73 (tax 1960).

Opinion

Withey, Judge:

The respondent denied petitioner’s applications for relief and claims for refund of excess profits tax under section 722(b)(1), (b)(2), (b)(3), (b)(4), and (b)(5) of the Internal Revenue Code of 1939 for the fiscal years ended September 30, 1942 to 1945, inclusive, by his notice of disallowance mailed January 26, 1950.

The issues presented for our decision are:

1. Whether petitioner filed a timely claim for refund of its excess profits tax on the ground that it realized net abnormal income within the meaning of section 721(a)(2)(C) and (a)(3) of the 1939 Code. In the event we find that its claim for refund is timely filed, the further question is presented whether petitioner realized net abnormal income within the meaning of section 721(a) (2) (C) and (a) (3) during the years in issue which is attributable to other years under section 721(b).

2. Whether the respondent in his amended answer to the fourth amended petition made a timely claim for deficiencies in petitioner’s excess profits tax for the fiscal years ended September 30, 1942 and 1943, on the ground that petitioner utilized an incorrect basis for computing depreciation, equity invested capital, and a net operating loss carryover from 1940 to 1942 on property received in 1936 in exchange for its stock pursuant to a plan of reorganization of the Willys-Overland Co. under section 77B of the Bankruptcy Act. If the deficiencies claimed by respondent are timely, the question is presented whether the basis of assets received by petitioner in 1936 is the fair market value of the assets at the time of acquisition or their basis in the hands of the transferors.

3. Whether or not petitioner is entitled to relief under section 722(b) (2) of the 1939 Code on the ground that its earnings during the base period were depressed by reason of temporary economic circumstances unusual in its experience.

4. Whether or not petitioner is entitled to relief under section 722(b) (4) of the Code on the ground that it commenced business immediately prior to the base period and failed to reach the earning level it would have attained had it commenced business 2 years earlier.

Additional issues presented by the pleadings have been settled on stipulation.

GENERAL FINDINGS OF FACT.

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

The petitioner (known since 1953 as the Overland Corporation) was organized as Willys-Overland Motors, Inc., sometimes hereinafter referred to as petitioner or the new company, under the laws of the State of Delaware on July 25, 1936. It was one of two corporations created pursuant to the plan of reorganization of the Willys-Overland Company, sometimes hereinafter referred to as the old company, and Willys-Overland, Incorporated, under the provisions of section 77B of the Bankruptcy Act, as amended.

The Willys-Overland Company was organized under the laws of the State of Ohio on November 18, 1912. Substantially all of its business consisted of the manufacture and sale of automobiles and automobile parts. Its principal place of business and factories were located in Toledo, Ohio.

Issue 1. Statute of Limitations — Section 388.

BINDINGS OB’ PACT.

Petitioner’s income and excess profits tax returns for the fiscal years ended September 30, 1942 to 1945, inclusive, were filed with the director of internal revenue at Toledo, Ohio. The petitioner’s net liability for excess profits tax for the fiscal years ended September 30, 1942 to 1945, inclusive, as shown on its returns and as assessed by the respondent was paid as follows:

1942
Year Amount
Dee. 15, 1942_:___ $1, 322, 500. 00
Mar. 15, 1943_ 469, 783. 20
June 15, 1943___ 896, 141. 58
Sept. 15, 1943 „_ 896, 141. 60
May 21, 1948_ 2, 544, 519. 82
Total___i_ 6, 129, 086. 20
Less: Credit, July 5, 1944, pursuant to section 3806(b), I.R.C., against the amount of excessive profits reflected in renegotiation agreement dated Apr. 18, 1944_ 420, 976. 59
Net payment of excess profits tax_ 5, 708, 109. 61
1943
Year Amount
Dec. 15, 1943_ $4, 342, 300. 00
Mar. 15, 1944_ 4, 342, 086. 66
June 15, 1944_ 4, 342, 193. 33
Sept. 15, 1944_ 4, 342, 193. 32
May 21, 1948 — ____—_ 3, 188, 185. 21
Aug. 16, 1948_ 1, 142, 719. 82
Total_ 21, 699, 678. 34
Less: Tentative credit, Jan. 15, 1948, pursuant to section 3806(b), I.R.C., against excessive profits determined by War Contracts Price Adjust-, ment Board, then pending on appeal to the Tax Court as to the proper amount of such ex-
cessive profits_'_i $9,600,000
Minus: Adjustment of such tentative credit pursuant to entry of decision of Tax Court, Dec.
19, 1949, in accordance with stipulation as to amount of excessive profits under Renegotiation Act_ 560, 000 9, 040, 000. 00
Net payments of excess profits tax. 12, 659, 678. 34
1944
Year Amount
Dec. 15, 1944..._ $5, 720, 750. 00
Mar. 15, 1945_ 5, 720, 669. 80
June 15, 1945. 5, 720, 709. 89
Sept. 15, 1945__ — .. 3, 432, 425. 93
Apr. 10, 1946 (Post-war credit)_ 2, 288, 283. 96
July 15, 1948_ 1, 397, 762. 74
Sept. 14, 1948 (Post-war credit)__ 155, 306. 97
Total_.___ 24, 435, 909. 29
Less: Refund May 8, 1946, re: Tentative adjustment of amortization deduction under section 124, I.R.C., amended_ $48, 205. 37
Plus: Post-war credit on above_ 5, 356. 15
—-- 53, 561. 52
Less: Credit, Nov. 14, 1949, pursuant to section 3806(b), I.R.C., against the amount of excessive profits reflected in the renegotiation agreement dated Oct. 7, 1949_ 8, 637,140. 80
Minus: Repayment, Dec.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Cite This Page — Counsel Stack

Bluebook (online)
34 T.C. 1001, 1960 U.S. Tax Ct. LEXIS 73, Counsel Stack Legal Research, https://law.counselstack.com/opinion/overland-corp-v-commissioner-tax-1960.