President & Managers of the Mill Creek & Mine Hill Navigation & R.R. Co. v. Commissioner

5 T.C.M. 294, 1946 Tax Ct. Memo LEXIS 213
United States Tax Court·Decided April 22, 1946·No. Docket No. 7108.·Unpublished

Opinion

The President and Managers of the Mill Creek and Mine Hill Navigation and Railroad Company v. Commissioner.
President & Managers of the Mill Creek & Mine Hill Navigation & R.R. Co. v. Commissioner
Docket No. 7108.
United States Tax Court
1946 Tax Ct. Memo LEXIS 213; 5 T.C.M. (CCH) 294; T.C.M. (RIA) 46093;
April 22, 1946
John E. McClure, Esq., 920 Southern Bldg., Washington 5, D.C., for the petitioner. Ralph A. Gilchrist, Esq., for the respondent.

HILL

Memorandum Findings of Fact and Opinion

HILL, Judge: The Commissioner disallowed petitioner's application for relief under section 722 of the Internal Revenue Code and claim for refund of the excess profits tax of $1,499.50 for 1942 as shown by its return and paid for the reasons that petitioner had not established (1) that the tax computed under subchapter E of Chapter 2 of the Internal Revenue Code, without the benefit of section 722, resulted in an excessive and discriminatory tax within the provisions of section 722 (a) and (b), and (2) what would be a fair and just amount representing normal earnings to be used as a constructive average*214 base period net income for the purpose of an excess profits tax based upon a comparison of normal earnings and earnings during the excess profits tax for 1942. Petitioner assails the action of the Commissioner as erroneous, and asks for a determination of overpayment of taxes of $1,499.50 for 1942.

Findings of Fact

The petitioner is a corporation organized under the laws of Pennsylvania on July 15, 1829. Its authorized capital consisted of 12,935 shares of common stock of the par value of $25 a share, all of which was outstanding during the years 1936 to 1942, inclusive.

Prior to July 25, 1861, petitioner operated certain railroad properties. Its railroad and that of the Philadelphia and Reading Railroad Company were connected by means of another intervening railroad. On July 25, 1861, a contract and lease was executed by and between the petitioner and Philadelphia and Reading Railroad Company, under which all of petitioner's railroad properties were leased to Philadelphia and Reading Railroad Company, its successors and assigns, for a term of 999 years from and including July 25, 1861. Since July 25, 1861, petitioner's railroad properties have been held and operated by Philadelphia*215 and Reading Railroad Company, its successors and assigns, under such contract and lease.

Under such lease and contract the lessee was obligated to pay during each year of the continuance thereof yearly rent of $33,000 in equal portions of $16,500 half yearly, on the first day of the months of June and December each year, and in addition thereto

* * * all the taxes which may at any time during the continuance of the hereby demised term be, according to law, laid, levied, or assessed upon or against the said demised railroad and premises, and upon the capital stock thereof heretofore issued, and now outstanding, or upon the dividends thereon.

During each of the years 1936 to 1942, inclusive, petitioner's Federal income and excess profits taxes paid by the lessee were as follows:

Excess
YearIncome TaxProfits Tax
1936$ 4,441.510
19374,461.740
19386,505.440
19396,482.730
19409,741.810
194112,748.31204.51
194215,521.091,499.50

Of the amounts of the above taxes paid by the lessee, petitioner under decisions of the Supreme Court in United States v. Boston & Maine R.R., 279 U.S. 732, and Commissioner v. Old Colony Trust Co., 279 U.S. 716,*216 was required to include for income tax purposes and did include in its gross income for each of the years 1936 to 1942, inclusive, the following amounts:

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President & Managers of the Mill Creek & Mine Hill Navigation & R.R. Co. v. Commissioner, 5 T.C.M. 294, 1946 Tax Ct. Memo LEXIS 213 (tax 1946).

5 T.C.M. 294 (President & Managers of the Mill Creek & Mine Hill Navigation & R.R. Co. v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Old Colony Trust Co. v. Commissioner
279 U.S. 716 (Supreme Court, 1929)
United States v. Boston & Maine Railroad
279 U.S. 732 (Supreme Court, 1929)
Philadelphia, G. & N. R. Co. v. Commissioner
6 T.C. 789 (U.S. Tax Court, 1946)