Salem Packing Co. v. Commissioner

56 T.C. 131, 1971 U.S. Tax Ct. LEXIS 142
CourtUnited States Tax Court
DecidedApril 26, 1971
DocketDocket No. 3956-68
StatusPublished
Cited by11 cases

This text of 56 T.C. 131 (Salem Packing 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
Salem Packing Co. v. Commissioner, 56 T.C. 131, 1971 U.S. Tax Ct. LEXIS 142 (tax 1971).

Opinion

Scott, Judge:

Respondent determined deficiencies in petitioners’ consolidated corporate income taxes for the fiscal years ended May 28, 1965, and May 27, 1966, in the amounts of $142,727.89 and $18,681.80, respectively.

The issues for decision are:

(1) Was Winston Farms, without consent of the Commissioner, entitled to report its income for its fiscal years ended May 28,1965, and May 27,1966, on the cash basis of accounting while filing consolidated returns with its parent corporation, Salem Packing Co., which reported its income for these and prior years on an accrual basis?

(2) If respondent correctly determined that in order to file a consolidated return with Salem Packing Co., its parent, Winston Farms, must compute its income on an accrual method of accounting, should petitioners have an option to rescind their election to file a consolidated return and compute their taxes as if separate returns had been filed?

(8) If Winston Farms is entitled to file on the cash basis of accounting, is it entitled to deduct $34,802.58 paid as advances in its fiscal year 1965 to feedlots for feed and care of cattle in the following year ?1

(4) Were the salaries paid by Salem Packing Co. to Philip E. Bauer and Phillip Himmelfarb excessive to the extent of $29,200 and $23,800, respectively, in each of the years in issue.

FINDINGS OF FACT

Some of the facts have been stipulated and are found accordingly. Salem Packing Co. (hereinafter referred to as Salem), a California corporation formed on June 1,1962, with its principal office and place of business at the time its petition in this case was filed in Los Angeles, Calif., filed its corporate income tax return for its fiscal year ended May 29, 1964, with the district director of internal revenue at Los Angeles, Calif.

Salem owned all of the stock of its affiliate Winston Farms (hereinafter referred to as Winston), which was incorporated under the laws of California on February 5, 1965. The principal office and place of business of Winston at the time the petition in this case was filed was Los Angeles, Calif. For each of the taxable years ended May 28,1965, and May 27,1966, Salem and Winston filed with the district director of internal revenue at Los Angeles, Calif., a consolidated corporation income tax return.

All of Salem’s issued and outstanding stock during the years here in issue was owned by Philip E. Bauer (hereinafter referred to as Bauer). Salem was engaged in the business of processing beef carcasses into smaller cuts and boneless beef. Salem specializes in “block-ready” operations whereby the whole carcass of beef is stripped of excess fat and cut into smaller sections so that the butcher at the store level needs only run that section through the band saw and wrap the cuts for market. Salem also fabricates beef into as many as 15 cuts ready for consumption, such as roasts, oven roasts, pot roasts, swiss steak, stew beef, ground beef, and rib steaks. Salem has Government contracts with the Department of Defense for meat for the Army in Vietnam, with (the Veterans Administration, and with the Department of Agriculture for its various support programs such as the Needy Family Program and the School Lunch Program. Salem also sells to chain-stores, but does not sell directly to restaurants.

The beef sold by Salem to various governmental agencies had to meet rigid inspection and be of a lean variety. In order to meet the specifications set by the Government contracts, specific kinds of cattle were required. Salem organized Winston to supply it with the kind of cattle required, and to protect it against a shortage of acceptable beef with which to meet its Government contracts. Winston is engaged in the business of purchasing cattle, having them fed by feedlots until they reach a certain level of weight, and then selling them to a slaughterer. Winston sold substantially all of its cattle to Federal Meat Co., a corporation which was wholly owned by Bauer. Federal Meat Co. (hereinafter referred to as Federal) is a slaughterer which primarily slaughters cattle on a daily basis for chainstore consumption. Salem purchased most of its beef from Federal during the years here in issue. The cattle sold by Winston to Federal comprised only a part of the beef carcasses sold by Federal to Salem. However, the carcasses from substantially all of the cattle sold by Winston to Federal were sold by Federal to Salem.

In the consolidated returns filed by Salem and Winston for the years in issue Salem reported its income on an accrual basis of accounting-while Winston reported its income on the cash basis of accounting. Attached to the consolidated corporate income tax return for each of the years in issue was a Form 1122, “Return of Information and Authorization and Consent of Subsidiary Corporation Included in a U.S. Consolidated Income Tax Return,” signed by Philip E. Bauer as president of Winston. Salem and Winston did not request permission of the Commissioner to report their consolidated income using-different methods of accounting.

The following is a summary of the profit-and-loss statements of Salem for its fiscal year ended May 29,1964, and for Salem and Winston for their fiscal years ended May 28, 1965, and May 27, 1966, as contained in their tax. returns as filed:

RYE May 29, 1964 Salem EYE May 28, 1965 Salem Winston Total

Income from sales. $4,461,162.37 $5,817,919.83 $219.71 $5,818,139.54

Cost of sales* Beginning inventory__ 1,341.68 3,968.31 0 3,968.31 Purchases. 3,746,286.18 4,773,690.24 452,277.97 5,225,968.21

Less: Ending inventory. 3,747,627.76 3,968.31 4,777,658.55 4,123.60 452,277.97 452,029.51 5,229,936.52 456,153. 11

Plant labor.. Payroll taxes and insurance.. Plant supplies and expense.. Storage fees.. Ereight to destination_ 3,743,659.45 270,430.64 19,850.17 102,292.33 50,623.28 40,895.84 4,773,534.95 267,495.26 28,208.02 85,152.33 69,148.94 22,219.84 248.46 0 0 0 0 0 4,773,783.41 267,495.26 28,208.02 85,152.33 69,148.94 22,219.84

Total cost of sales. 4,227,751.71 5,245,759.34 248.46 5,246,007.80

Gross profit (toss). 233,410.66 572,160.49 (28.75) 572,131.74

Less operating expenses: Plant expense. 50,116.48 88,348.94 Administrative expense_ 91,839.21 168,366.59 1242,516.40 0 330,865.34 168,366. 59

Total-. 141,955.69 256,715.53 242,516.40 499,231.93

Add: Other income-91,454.97 5,133.81 315,444.96 7,293.66 (242,545.15) 0 72,899.81 7,293. 66

Net profit (loss)_ 96,588.78 322,738.62 (242,545.15) 80,193.47

EYE May 27,1966

Salem Winston Total

Income from sales- .. $2,887,882.90 $1,058,115.64 $3,945,998.64

Cost of sales: Beginning inventory. Purchases. 4,123.60 2,678,164.82 452,029.51 734,543.60 456,153.11 3,412,708.42

Less: Ending inventory. 2,682,288.42 186,185.28 1,186,573.11 615,898.96 3,868,861.53 802,084.24

Plant labor. Payroll taxes and insurance Plant supplies and expense. Storage fees. Ereight to destination.

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Salem Packing Co. v. Commissioner
56 T.C. 131 (U.S. Tax Court, 1971)

Cite This Page — Counsel Stack

Bluebook (online)
56 T.C. 131, 1971 U.S. Tax Ct. LEXIS 142, Counsel Stack Legal Research, https://law.counselstack.com/opinion/salem-packing-co-v-commissioner-tax-1971.