Presbyterian and Reformed Publishing Co. v. Commissioner of Internal Revenue

743 F.2d 148, 54 A.F.T.R.2d (RIA) 5730, 1984 U.S. App. LEXIS 19073
CourtCourt of Appeals for the Third Circuit
DecidedAugust 29, 1984
Docket83-3309
StatusPublished
Cited by25 cases

This text of 743 F.2d 148 (Presbyterian and Reformed Publishing Co. v. Commissioner of Internal Revenue) is published on Counsel Stack Legal Research, covering Court of Appeals for the Third Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Presbyterian and Reformed Publishing Co. v. Commissioner of Internal Revenue, 743 F.2d 148, 54 A.F.T.R.2d (RIA) 5730, 1984 U.S. App. LEXIS 19073 (3d Cir. 1984).

Opinion

OPINION OF THE COURT

ADAMS, Circuit Judge.

This is an appeal from a decision of the United States Tax Court affirming the Internal Revenue Service’s (IRS) revocation of tax-exempt status for a religiously-oriented publishing house. The Tax Court’s decision affirming the termination of the publisher’s 52-year-old tax-exémption under 26 U.S.C. § 501(c)(3) (1982), 1 was based on its conclusion that the publisher had become a profitable venture with only an attenuated relationship to the church with which it claims an affiliation. For the reasons set forth below, the decision of the Tax Court will be reversed.

I.

In 1931, the Presbyterian and Reformed Publishing Company (P & R) was incorporated to

state, defend and disseminate (through every proper means connected with or incidental to the printing and publishing business) the system of belief and practice taught in the Bible, as that system is now set forth in the Confession of Faith and Catechisms of the Presbyterian Church in the United States of America____

App. at R-131. P & R’s charter requires that any income otherwise available as a dividend be used to improve its publications, extend their influence, or assist institutions “engaged in the teaching or inculcating” of the “system of belief and practice” of the Orthodox Presbyterian Church (OPC). Id.

The IRS granted P & R tax-exempt status in 1939, stating,

Your actual activities consist of publishing a religious paper known as “Christianity Today,” a Presbyterian journal devoted to stating, defending, and furthering the gospel. Your income is derived from subscriptions, contributions and gifts and is used to defray maintenance and general operating expenses.

App. at R-132.

From the beginning, P & R has been closely linked — although not formally affiliated — with the OPC, a Presbyterian group dedicated to its view of reformed Presbyte *151 rian theology and, in particular, to the doctrine of Biblical Christianity set forth in the Westminster Confession of Faith, P & R’s central editorial criterion is whether a book chosen for publication would make a “worthy contribution ... to the reformed [Presbyterian] community.” App. at R-140. One independent publisher characterized P & R’s books as lacking in “common ground” with the “nonreformed mind” and “offensive” to all but the “truly reformed.” App. at Ex. 52-A2.

One of P & R’s three incorporators and original directors founded the OPC in 1932, one year after P & R’s incorporation. Seven of P & R’s nine directors are either officials at Westminster Theological Seminary of Philadelphia or pastors of OPC or OPC-affiliated denominations. On January 1, 1976, P & R changed its charter to specify OPC’s seminary, the Westminster Theological Seminary of Philadelphia, as the recipient of all P & R assets in case of dissolution, citing Westminster’s common dedication to Biblical Christianity and the Westminster Confession.

The organizational structure of P & R further underscores its close ties to the OPC. Since 1931, the publishing house has been run by three successive generations of the Craig family. Samuel, Charles, and Bryce Craig each worked without compensation at what amounted to a family concern whose business was conducted at the Craigs’ kitchen table; all three Craigs were ministers. The record is devoid of evidence indicating any lessening of ties between P & R and the OPC.

From .its inception until 1969, the company could claim no income over and above expenses. Indeed, the Craigs themselves often contributed personal funds in order to keep the corporation afloat (Samuel donated $500 in 1939 and $3,000 in 1954; Charles donated a total of $19,600 from 1955 to 1963). Until 1973, P & R relied exclusively on volunteers to help the Craigs with editing, packing, shipping, and clerical work.

Beginning in 1969, however, P & R experienced a considerable increase in economic activity as a result of the sudden and unexpected popularity of books written by Jay Adams, a Westminster Theological faculty member. P & R reported gross profits of over $20,000 for 1969, almost twice as much in 1970, and subsequent escalations culminating in over $300,000 in gross profits in 1979. App. at R-138. By 1979, P & R had seven paid employees assisting Bryce Craig, one with a salary of $12,500, and five with salaries under $6,250 (all five full-time employees were OPC officials or members). Bryce Craig himself began receiving a salary of $12,000 in 1976, which increased, to $15,350 by 1979.

As early as March 2,1974, P & R notified the Internal Revenue Service that it was accumulating surplus cash as a “building fund.” In 1976, P & R used this fund to purchase 5-V2 acres of land in Harmony, New Jersey, close to both an OPC community and Harmony Press, the printer for both P & R and OPC. In 1978, construction of a combined warehouse and office-building in Harmony was completed at a cost of $263,000; an additional $27,000 was spent in 1979 for equipment.

After an audit, the IRS issued a revocation of P & R’s tax-exempt status in 1980 on the grounds that P & R was not “operating exclusively for purposes set forth in 501(c)(3)” and was “engaged in a business activity which is carried on similar to a commercial enterprise.” The IRS made this revocation retroactive, to apply from January 1, 1969 onward.

The Tax Court affirmed the revocation in a December 23, 1982 opinion, 79 Tax Court 1070, but held that the IRS abused its discretion in making the revocation retroactive to 1969. Instead, it set the effective revocation date at 1975, based upon its declaration that as of that year P & R “had acquired a truly commercial hue” and the company “was aware ... that IRS agents had been raising serious questions [about its exemption].” App. at R-160. To support its determination that P & R came to be “animated” by a substantial commercial [and thus nonexempt] purpose” in 1975, App. at R-147, the Tax Court relied primar *152 ily on three lines of evidence: first, P & R’s “soarpng] net and gross profits” between 1969 and 1979; second, the fact that P & R set prices which generated “consistent and comfortable net profit margins,” rather than lowering prices to encourage a broader readership; and, third, P & R’s purchase and sale of books to and from Baker Book Stores (a commercial publishing house), which “must have ... overlapped] in subject matter” with commercial publishers. App. at R-149-52. The Tax Court deemed this sufficient to support the proposition that P & R was in “competition with commercial publishers.” App. at R-151. 2

On P & R’s motion for reconsideration, the Tax Court issued a second opinion on April 8, 1983, leaving its prior judgment intact and rejecting P & R’s argument that its “profit” figures should have been adjusted to reflect accumulations for the building fund.

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743 F.2d 148, 54 A.F.T.R.2d (RIA) 5730, 1984 U.S. App. LEXIS 19073, Counsel Stack Legal Research, https://law.counselstack.com/opinion/presbyterian-and-reformed-publishing-co-v-commissioner-of-internal-ca3-1984.