Peco Foods, Inc. & Subsidiaries v. Comm'r

2012 T.C. Memo. 18, 103 T.C.M. 1120, 2012 Tax Ct. Memo LEXIS 17
United States Tax Court·Decided January 17, 2012·No. Docket No. 13789-08.·Unpublished·Cited by 11 cases

Opinion

PECO FOODS, INC. & SUBSIDIARIES, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Peco Foods, Inc. & Subsidiaries v. Comm'r
Docket No. 13789-08.
United States Tax Court
T.C. Memo 2012-18; 2012 Tax Ct. Memo LEXIS 17; 103 T.C.M. (CCH) 1120;
January 17, 2012, Filed
*17

Decision will be entered for respondent.

James H. Williams, III and John S. Rice, for petitioner.
William B. McClendon and Francis C. Mucciolo, for respondent.
LARO, Judge.

LARO
MEMORANDUM FINDINGS OF FACT AND OPINION

LARO, Judge: Peco Foods, Inc. (Peco), is an Alabama corporation and the parent company of an affiliated group of corporations that file their Federal income tax returns on a consolidated basis. 1 Peco petitioned the Court to redetermine respondent's determination of Federal income tax deficiencies of $120,751, $678,978, and $727,323 for its taxable years ended March 28, 1998 (1997 taxable year), April 3, 1999 (1998 taxable year), and March 30, 2002 (2001 taxable year), respectively. 2 Following a trial of this case, we decide whether Peco may modify purchase price allocations which it agreed to in connection with its acquisition of certain assets at two poultry processing plants. We hold it may not.

FINDINGS OF FACT

Some *18facts were stipulated. We incorporate herein by this reference the parties' stipulation of facts and the exhibits submitted therewith. We find the stipulated facts accordingly. When the petition was filed with the Court, Peco's mailing address was in Tuscaloosa, Alabama.

I. Background

Peco is the common parent of an affiliated group of corporations. The other members of the affiliated group are Peco Farms, Inc. (Peco Farms), Peco Foods of Mississippi, Inc. (PFMI), and Peco Foods of Brooksville, Inc. At all relevant times, Peco and the members of its affiliated group were engaged in the business of poultry processing.

II. AcquisitionsA. Overview

During the mid-to-late 1990s, Peco acquired two poultry processing plants. First, Peco acquired a poultry processing plant in Sebastopol, Mississippi (Sebastopol plant). Second, Peco acquired a poultry processing plant in Canton, Mississippi (Canton plant). We collectively refer to Peco's acquisitions of the Sebastopol plant and the Canton plant as the acquisitions.

. Sebastopol Acquisition

Peco, through PFMI and Peco Farms of Mississippi, LLC (LLC), acquired certain assets of the Sebastopol plant (Sebastopol acquisition) from Green Acre Farm, Inc.*19(Green Acre) for $27,150,000. The Sebastopol acquisition was effected through an asset purchase agreement dated December 29, 1995 (Sebastopol agreement). Included in the Sebastopol agreement was a schedule (original Sebastopol allocation schedule) which allocated the purchase price of the acquired assets between PFMI and LLC as the purchasing subsidiaries. In particular, Peco and Green Acre agreed to allocate the $27,150,000 purchase price among 26 assets "for all purposes (including financial accounting and tax purposes)" in accordance with the original Sebastopol allocation schedule. The original Sebastopol allocation schedule allocated the purchase price as follows:

AssetPFMILLCTotal
Processing plant building$3,802,550-0-$3,802,550
Holding shed #1-0-$64,80064,800
Holding shed #2-0-75,39575,395
Fuel tanks-0-61,00061,000
Waste water treatment plant lagoon112,000-0-112,000
Rail spur-0-86,62586,625
Weightronic truck scale-0-55,00055,000
Fencing27,700-0-27,700
Utility extension50,000-0-50,000
Concrete and paving50,000-0-50,000
Site work100,000-0-100,000
Hatchery real property-0-1,509,1251,509,125
Feedmill-0-1,005,7001,005,700
Waste water treatment plant

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Peco Foods, Inc. & Subsidiaries v. Comm'r, 2012 T.C. Memo. 18, 103 T.C.M. 1120, 2012 Tax Ct. Memo LEXIS 17 (tax 2012).

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