T. W. Warner Co. v. Commissioner

19 B.T.A. 872, 1930 BTA LEXIS 2313
CourtUnited States Board of Tax Appeals
DecidedMay 8, 1930
DocketDocket No. 22109.
StatusPublished
Cited by11 cases

This text of 19 B.T.A. 872 (T. W. Warner Co. v. Commissioner) is published on Counsel Stack Legal Research, covering United States Board of Tax Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
T. W. Warner Co. v. Commissioner, 19 B.T.A. 872, 1930 BTA LEXIS 2313 (bta 1930).

Opinion

OPINION.

Sternhagen:

Respondent, acting under section 280, Revenue Act of 1926, notified petitioner, a Delaware corporation, on November 4, 1926, of his determination of petitioner’s liability for $69,025.80 as a transferee of the assets of T. W. Warner Co., an Indiana corporation ; this being the amount of a deficiency in income and profits tax of the Indiana corporation for 1917. The facts have been agreed upon and set forth in a written stipulation, which is as follows, with such modifications in form as are necessary in order to set forth the documentary exhibits sufficiently:

It is hereby stipulated and agreed by and between the parties to the above-entitled appeal, through their respective counsel, that the following facts and exhibits attached hereto, are true and may be considered as proof for the purpose of this appeal.
1. That the T. W. Warner Company of Muncie, Indiana, was incorporated under the laws of the State of Indiana in 1911. That on or about June 11, [873]*8731921, the Secretary of the State of Indiana issued to said corporation a certificate acknowledging the filing of a certificate certifying that the corporation was then in the process of dissolution and said corporation was dissolved on or about September 23, 1921. That during the year 1917 Warren M. Sample was Vice President and D. O. Skillen, Treasurer, and T. L. Moore, Secretary of T. W. Warner Company (Indiana). That during the year 1920 Thomas W. Warner was President and Warren M. Sample was Vice President of said company. That during said year T. L. Moore was Secretary and D. O. Skillen Treasurer of said Company until December 9, 1920, on which date at an adjourned meeting of the Board of Directors of said company, T. L. Moore resigned as Secretary, and E. H. Wither was elected in his place and stead, and that no election of officers ever having been held subsequent to 1920, that they were the last duly elected officers of T. W. Warner Company (Indiana).
2. That the T. W. Warner Company (Indiana) filed its income and profits tax returns for the year 1917 on March 30, 1918. The return showed a total tax liability of $50,336.20, which amount has been fully paid. Thereafter, in December of 1919, an additional assessment was made by the Commissioner of Internal Revenue against T. W. Warner Company (Indiana) in the amount of $10,629.65, which amount was thereafter duly paid. Thereafter, in March, 1924, an additional assessment of $166,810.50 was made by the Commissioner of Internal Revenue against the T. W. Warner Company (Indiana). That said assessment appears on the Commissioner’s assessment list of March, 1924, (a certified copy of which is attached hereto and made a part hereof and marked “Exhibit 1”). That the foregoing were all the assessments made against the T. W. Warner Company (Indiana) for income and profits tax for the year 1917.
3. Thereafter, on or about April 19, 1926, a certificate of overassessment for the year 1917 was issued to the T. W. Warner Company (Indiana) in the amount of $82,997.65, and that thereafter the Commissioner of Internal Revenue further reduced the outstanding assessment in the name of T. W. Warner Company (Indiana) for 1917 by applying an overassessment due the said company for the year 1920 in the amount of $14,787.05 against the amount outstanding for the year 1917. (Attached hereto and marked “ Exhibits 2, 3, and 4,” are transcripts of the accounts of the Collectors of Internal Revenue at Toledo, Ohio, Indianapolis, Indiana, and Los Angeles, California, of T. W. Warner Company (Indiana) for the year 1917 showing all assessments, abate-ments, credits, payments, and refunds.)
4. That attached hereto and marked “ Exhibits 5 and 6,” are the only instruments in writing purporting to have been entered into in the name of the Commissioner of Internal Revenue and in the name of T. W. Warner Company (either Delaware or Indiana) which relate to the time within which assessment and/or collection of any taxes could be made; that the instruments marked “ Exhibits 5 and 6 ” were signed by the individual whose signatures appear thereon and on or about the dates which they bear. But nothing in this paragraph contained is intended or shall be construed to' be an agreement that the individual whose signature appears thereon as having signed in the name of T. W. Warner Company had any power or authority to sign said instrument in the name of either of said companies, or that the word “ Secretary” (in pencil) under the name E. H. Wither on Exhibit 5 was written thereon by any one connected with either of said companies. It is agreed that the notation “ attach to 1917 return ” was placed thereon by respondent or one of his employees.
[874]*874Exhibit 5
Attach to 1917 Return
Recb at Revenue
Feb. 9, 1923
Agent’s Office
Received
Apr. 23, 1925
Special Assessment Section
Toledo, O., Fey., 7/23.
(Date)
Income and Profits Tax Waiver
In pursuance of the provisions of subdivision (d) of Section 250 of the Revenue Act of 1921, T. W. Warner Oo. of Toledo, Ohio, and the Commissioner of- Internal Revenue, hereby consent to a determination, assessment, and collection of the amount of income, excess-profits, or war-profits taxes due under any return made by or on behalf of the said Company for the years 1916-1917-1918-1919 under the Revenue Act of 1921. or under prior income, excess-profits, or war-profits tax Acts, or under Section 38 of the Act entitled “ An Act to provide revenue, equalize duties, and encourage the industries of the United States, and for other purposes”, approved August 5, 1909, irrespective of any period of limitations.
T. W. Warner Co.,
Taxpayer.
By E. H. Wither,
Secretary.
D. H. Blair,
Commissioner.
Exhibit 6
CA-M-2123-12
Received
Apr. 23, 1925
Special Assessment Section
Jany. 18, 1924.
(Date)
Income and Profits Tax Waiver
In pursuance of the provisions of subdivision (d) of Section 250 of the Revenue Act of 1921, T. W. Warner Company of Toledo, Ohio, and the Commissioner of Internal Revenue, hereby consent to a determination, assessment, and collection of the amount of income, excess-profits, or war-profits taxes due under any return made by or on behalf of the said corporation for the years 1917-1918 under the Revenue Act of 1921, or under prior income, excess-profits, or war profits tax Acts, or under Section 38 of the Act entitled “An Act to provide revenue, equalize duties, and encourage the industries of the United States, and for other purposes ”, approved August 5, 1909.

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Bluebook (online)
19 B.T.A. 872, 1930 BTA LEXIS 2313, Counsel Stack Legal Research, https://law.counselstack.com/opinion/t-w-warner-co-v-commissioner-bta-1930.