Stuppy, Inc. v. United States

454 F. Supp. 1378, 42 A.F.T.R.2d (RIA) 6093, 1978 U.S. Dist. LEXIS 16077
CourtDistrict Court, W.D. Missouri
DecidedAugust 10, 1978
Docket77-0659-CV-W-3
StatusPublished
Cited by11 cases

This text of 454 F. Supp. 1378 (Stuppy, Inc. v. United States) is published on Counsel Stack Legal Research, covering District Court, W.D. Missouri primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Stuppy, Inc. v. United States, 454 F. Supp. 1378, 42 A.F.T.R.2d (RIA) 6093, 1978 U.S. Dist. LEXIS 16077 (W.D. Mo. 1978).

Opinion

MEMORANDUM AND ORDER

RUSSELL G. CLARK, District Judge.

Plaintiff-taxpayer Stuppy, Inc., formerly Stuppy Floral, Inc., having filed claims, of entitlement to investment tax credits with respect to certain greenhouse structures, and having these claims disallowed by the Internal Revenue Service, brought this action to recover a portion of federal income taxes paid for the fiscal years ending June 30, 1973 and 1974. This Court has jurisdiction of this refund action pursuant to 28 U.S.C. § 1346(a)(1).

The issue in this action is whether or not the taxpayer’s greenhouses, constructed during the taxable fiscal years in question, are investment credit properties within the meaning of 26 U.S.C. § 48 to qualify for the tax credit authorized by 26 U.S.C. § 38. The United States has stipulated that the subject structures qualify in all respects for the investment tax credit 1 but the government contends that the greenhouse structures are “buildings” and consequently not eligible for the tax credit.

Trial was before the Court commencing July 17, 1978. After careful consideration of the evidence and the legal briefs of counsel, and for the reasons set forth herein, judgment is granted in favor of the plaintiff taxpayer and against the defendant United States.

I. FINDINGS OF FACT

Generally described, the structures in question consist of six structures or units which are arranged “side by side”. Five of the units are thirty feet wide and two hundred and sixty feet long. The smaller remaining structure is of the same width but is one hundred seventy-six feet long. Each unit is covered by a “rainbowed”-arched framework of metal pipes. This metal framework forming the typical curving roof *1380 on this type of structure is covered with light emitting fiberglass reinforced plastic panels, each panel clad with a tediar film layer. More specifically, as stipulated by the parties, with respect to the structures claimed for the fiscal year ending June 30, 1973, the five units consist of a series of stake pipes. These stake pipes are of one and one quarter inch steel galvanized pipe, schedule 40, with a designation of L50, as designated by the manufacturer, Laclede Steel of Alton, Illinois. The stake pipes are approximately eight and one-half feet in height, of which two and one half feet are embedded in a concrete pier eight inches in diameter and three feet deep. Because the units are contiguous, the stakes on the interior connections of the units are double stakes bolted together.

Into these stakes are fitted one inch bowed pipes. These pipes have been rolled for an arch. The two arches are connected at the apex by a connecting piece of pipe to form the rainbow. There is a stake and bow assembly every four feet of the length of the units. The arches are then connected by a purlin or longitudinal member. There are three such purlins in each unit: at the crown, and one half way down either side of the bowed arches. These purlins are three quarter inch pipe, schedule 40, and are connected to the bows. Where the contiguous units meet, a common gutter arrangement is attached in the “V” formed by the two arches coming into the stakes.

The entire structure is covered with a fiberglass reinforced plastic panel covering. The panels are corrugated and weigh only .five ounces per square foot. Each panel is clad with a Dupont tediar film layer.

On the east ends of the individual structures are framed fiberglass doors for access to the outside. Also on the east side are large exhaust fans. At the west end there is a bank of louvered shutters which open into a lean-to type affair which is constructed of wood and houses the fan and aspen pad cooling system. This cooling system operates on the evaporative principle in that water spreading over the shaven aspen wood is evaporated by the air entering the greenhouse. This air is drawn into the structure and across the wet pad by a negative air pressure created by the exhaust fans forcing air out of the structures on the east end.

The heating system consists of gas heaters located inside the structures. These heaters, by way of a jet fan, force warm air down a polyethylene tube called a convection tube which has holes at specific dimensions and of specific size down the length of the tube. This tube runs the entire length of each greenhouse. The purpose of the convection tubing is to evenly distribute the heat when the heaters are in operation and to circulate the air when the fans are running independently of the heaters. This heating and cooling system, regulated by thermostat, is required to maintain the temperature and humidity levels conducive to the growing of potted plants. On a bright sunny winter’s day, the temperature inside the greenhouse can rapidly climb over 100 °F. which necessitates the ventilation of outside air. At night, however, due to the lack of insulation, extensive heating is required. In the summer months, the temperatures inside the greenhouse can soar beyond 120 °F. if left unregulated by the aspen pad cooling system. The humidity level remains quite high throughout the year due to extensive watering and misting of the plants and due to the natural “greenhouse” effect. This warm and humid atmosphere is not conducive to normal human activity and therefore all of the human activity that does occur within the greenhouse is directly related to the production of the commercially grown flowering and foliage crops.

With respect to the structure claimed for fiscal year ending June 30, 1974, it is also thirty feet wide, but is only one hundred seventy-six feet long. It is constructed in the same manner as the other greenhouses, however the interior is divided into two sections. One half is utilized for the growing of foliage house plants rather than flowering potted plants and the other half is utilized for propagation; therefore, it is equipped for a greater heating capacity. *1381 The structure’s fiberglass paneling is less opaque which allows for a lower light transmission suitable for these more delicate plants.

In conjunction with this greenhouse complex a “headhouse” facility 2 was constructed in 1974. This facility utilizes the same Stuppy designed structure, but was built on taller columns to allow for installation of an overhead garage door permitting trucks to enter the structure. The “headhouse” covering is coated so that only 10% available light enters through the opaque covering as compared to the 90% figure in the greenhouses. The interior of this facility contains wood framed structures providing office space for the head grower, a lunchroom facility for the workers, and restroom facilities. The entire building is heated but only the office and lunchroom are air conditioned. The remainder of the headhouse is used for storage space for miscellaneous items including soil, boxes, wheelbarrows, and electric forklift trucks. Eight-foot wide passages on both longitudinal walls of the headhouse permit easy access to all greenhouses.

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Bluebook (online)
454 F. Supp. 1378, 42 A.F.T.R.2d (RIA) 6093, 1978 U.S. Dist. LEXIS 16077, Counsel Stack Legal Research, https://law.counselstack.com/opinion/stuppy-inc-v-united-states-mowd-1978.