San Francisco Wesco Polymers, Inc. v. Commissioner

1999 T.C. Memo. 146, 77 T.C.M. 1945, 1999 Tax Ct. Memo LEXIS 161
CourtUnited States Tax Court
DecidedApril 30, 1999
DocketNo. 7750-98
StatusUnpublished

This text of 1999 T.C. Memo. 146 (San Francisco Wesco Polymers, Inc. 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
San Francisco Wesco Polymers, Inc. v. Commissioner, 1999 T.C. Memo. 146, 77 T.C.M. 1945, 1999 Tax Ct. Memo LEXIS 161 (tax 1999).

Opinion

SAN FRANCISCO WESCO POLYMERS, INC., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
San Francisco Wesco Polymers, Inc. v. Commissioner
No. 7750-98
United States Tax Court
T.C. Memo 1999-146; 1999 Tax Ct. Memo LEXIS 161; 77 T.C.M. (CCH) 1945; T.C.M. (RIA) 99146;
April 30, 1999, Filed

*161 An appropriate order will be issued.

SF, a dissolved corporation, moved for partial summary

   judgment on the ground that the period of limitations under sec.

   6501(a), I.R.C., had expired with respect to SF's taxable year

   ended June 30, 1993. SF was liquidated on Dec. 31, 1994, and

   USA, a corporation, was formed to take over SF's operations.

   USA's first corporate tax return was filed for the taxable year

   ended June 30, 1994. R mailed a letter with attached Forms 872,

   Consent to Extend the Time to Assess Tax, on June 20, 1996 to C,

   SF and USA's president, to extend the time to assess tax with

   regard to SF's taxable year ended June 30, 1993. The letter

   stated that the attached Forms 872 related to SF's taxable year

   ended June 30, 1993. The Forms 872 listed USA's name and

   employer identification number but listed the taxable year ended

   June 30, 1993, as the period to be extended. C signed Form 872

   in his capacity as president of USA. R mailed a notice of

   deficiency on Feb. 3, 1998, more than 3 years after SF's tax

   return for the year ended June 30, 1993 was filed.

     HELD: R has established by clear*162 and convincing evidence

   that C signed Form 872 with the intent to extend the period of

   limitations for SF's taxable year ended June 30, 1993.

     HELD, FURTHER, Form 872 may be reformed to conform with the

   intent of the parties. Woods v. Commissioner, 92 T.C. 776

   (1989), applied.

     HELD, FURTHER, R's notice of deficiency is not barred as

   untimely under the period of limitations on assessments

   contained in sec. 6501(a), I.R.C.

Donald L. Feurzeig, for petitioner.
Laurel M. Robinson, for respondent.
Nims, Arthur L., III

NIMS

MEMORANDUM OPINION

NIMS, JUDGE: This matter is before the Court on petitioner's motion for partial summary judgment under Rule 121. Unless otherwise indicated, all section references are to sections of the Internal Revenue Code in effect for the years in issue, and all Rule references are to the Tax Court Rules of Practice and Procedure.

Respondent determined the following deficiencies and accuracy-related penalties with respect to the Federal income tax of petitioner San Francisco Wesco*163 Polymers, Inc. (SFWP) for the taxable years ending June 30, 1993 and June 30, 1994:

                         Penalties

     Year       Deficiency        Sec. 6662(a)

     ____       __________        ____________

   June 30, 1993     $ 108,986          $ 6,150

   June 30, 1994      21,797           1,230

The sole issue for decision is whether Form 872, Consent to Extend the Time to Assess Tax, signed by a duly authorized officer of SFWP's corporate successor in interest, constitutes a binding agreement to extend the period of limitations under section 6501(c)(4) with respect to SFWP's June 30, 1993 taxable year.

When the petition was filed, SFWP did not have a principal place of business because it had previously ceased operations. The IRS office to which SFWP's tax returns were made is located in Fresno, California. See sec. 7482(b)(1)(B).

BACKGROUND

The background facts related below are taken from the record and the undisputed written representations of the respective parties.

SFWP mailed its Form 1120, U.S. Corporation Income Tax Return, for the fiscal year ended June 30, 1993 (1993 return) to the*164 Fresno Service Center on February 2, 1994. SFWP's 1993 return was signed by Miguel Chang (Chang), president and a director of SFWP. Respondent received SFWP's 1993 return on February 4, 1994. The general 3-year period of limitations for assessment of tax expired on February 4, 1997.

SFWP's Employer Identification Number (EIN) is 94-3100328. The address for SFWP as set forth on its 1993 return was 555 Montgomery Street, Suite 816, San Francisco, California. On February 3, 1998, respondent mailed the notice of deficiency to SFWP at 555 Montgomery Street, Suite 816, San Francisco, California.

U.S.A. Wesco Polymers, Inc. (USAWP), was incorporated under the law of the State of California on August 20, 1993. USAWP's EIN is 94-3187418. Chang was the president and chairman of USAWP. USAWP filed its first Form 1120 on February 10, 1995, covering the fiscal year beginning September 1, 1993 and ending June 30, 1994. USAWP's address on its Form 1120 was 555 Montgomery Street, Suite 816, San Francisco, California.

On August 16, 1993, the shareholders of SFWP decided that USAWP would take over SFWP's business operations on September 1, 1993. SFWP liquidated on December 31, 1994.

On June 20, 1996, *165

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1999 T.C. Memo. 146, 77 T.C.M. 1945, 1999 Tax Ct. Memo LEXIS 161, Counsel Stack Legal Research, https://law.counselstack.com/opinion/san-francisco-wesco-polymers-inc-v-commissioner-tax-1999.