The Overland Corporation (Formerly Willys-Overland Motors, Inc.) v. Commissioner of Internal Revenue, Commissioner of Internal Revenue v. The Overland Corporation (Formerly Willys-Overland Motors, Inc.)

316 F.2d 777, 11 A.F.T.R.2d (RIA) 1487, 1963 U.S. App. LEXIS 5369
CourtCourt of Appeals for the Sixth Circuit
DecidedMay 7, 1963
Docket14674
StatusPublished
Cited by2 cases

This text of 316 F.2d 777 (The Overland Corporation (Formerly Willys-Overland Motors, Inc.) v. Commissioner of Internal Revenue, Commissioner of Internal Revenue v. The Overland Corporation (Formerly Willys-Overland Motors, Inc.)) is published on Counsel Stack Legal Research, covering Court of Appeals for the Sixth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
The Overland Corporation (Formerly Willys-Overland Motors, Inc.) v. Commissioner of Internal Revenue, Commissioner of Internal Revenue v. The Overland Corporation (Formerly Willys-Overland Motors, Inc.), 316 F.2d 777, 11 A.F.T.R.2d (RIA) 1487, 1963 U.S. App. LEXIS 5369 (6th Cir. 1963).

Opinion

316 F.2d 777

The OVERLAND CORPORATION (Formerly Willys-Overland Motors,
Inc.), Petitioner,
v.
COMMISSIONER OF INTERNAL REVENUE, Respondent.
COMMISSIONER OF INTERNAL REVENUE, Petitioner,
v.
The OVERLAND CORPORATION (Formerly Willys-Overland Motors,
Inc.), Respondent.

Nos. 14673, 14674.

United States Court of Appeals Sixth Circuit.

May 7, 1963.

Jay O. Kramer, Milton M. Bernard, New York City, for petitioner; Thomas J. Lynch, Washington, D.C., George W. Ritter, Milton C. Boesel, Toledo, Ohio, on the brief.

Harry Marselli, Dept. of Justice, Washington, D.C., for respondent; John B. Jones, Jr., Acting Asst. Atty. Gen., Lee A. Jackson, Harold C. Wilkenfeld, Attys., Dept. of Justice, Washington, D.C., on the brief.

Before MILLER, Circuit Judge, BOYD, District Judge, and STARR, Senior District Judge.

STARR, Senior District Judge.

The Overland Corporation has petitioned for review of the decision of the Tax Court of the United States rendered April 10, 1961, 34 T.C. 1001, No. 105, denying its claims for relief and refund of certain excess profits taxes. The Commissioner of Internal Revenue has also petitioned for review of certain provisions of the Tax Court's decision. The Tax Court's findings of fact, opinion, and decision were based upon the parties' stipulation of facts.

Petitioner Overland, known since 1953 as the Overland Corporation, was organized as Willys-Overland Motors, Inc., under the laws of the State of Delaware in 1936, and it was one of two corporations created pursuant to the plan of reorganization of The Willys-Overland Company and Willys-Overland, Incorporated. Substantially all of the business of Overland Corporation and its predecessors consisted of the manufacture and sale of automobiles and automobile parts. Its principal place of business and factories were located in Toledo, Ohio. Overland filed income and excess profits tax returns for the fiscal years ending September 30, 1942 to 1945, inclusive, with the Collector of Internal Revenue at Toledo, Ohio. According to the Tax Court's findings of fact Overland's net liability for excess profits taxes for the fiscal years ending September 30, 1942 to 1945, inclusive, as shown by its returns and as assessed by the Commissioner of Internal Revenue, was paid by Overland as follows:

Fiscal year 1942 .. $ 5,708,109.61
Fiscal year 1943 ... 12,659,678.34
Fiscal year 1944 ... 16,608,921.05
Fiscal year 1945 ... 12,568,937.72

According to the Tax Court's findings of fact Overland filed applications for relief and claims for refund of excess profits taxes as follows:

Fiscal Yr.
   Ended     Return                                  Amount
 Sept. 30     Filed Claim for Refund Filed          Claimed
   1942     2-15-43
              Original application (Form 991)
              Feb. 15, 1943
              Second application (Form 991)
              Sept. 15, 1943
              Amendment to application
              (Form 991) Dec. 26, 1945
              Claim for refund (Form 843)
              Nov. 27, 1945                      $ 3,584,566.38
              Claim for refund (Form 843)
              Dec. 2, 1948                         2,544,519.82
              Claim for refund (Form 843)
              Jan. 2, 1957                         5,670,818.34
   1943     2-15-44
              Original application (Form 991)
              Feb. 15, 1944
              Amendment to application
              (Form 991) Dec. 26, 1945
              Claim for refund (Form 843)
              Nov. 27, 1945                        8,112,972.48
              Claim for refund (Form 843)
              Dec. 2, 1948                         4,330,905.03
              Claim for refund (Form 843)
              Jan. 2, 1957                         9,442,519.37
   1944     2-13-45
              Original application (Form 991)
              Feb. 13, 1945
              Amendment to application
              (Form 991) Dec. 6, 1948
              Claim for refund (Form 843)
              Nov. 27, 1945                        2,566,287.99
              Claim for refund (Form 843)
              Feb. 17, 1947                          412,964.02
              Claim for refund (Form 843)
              Dec. 2, 1948                         7,170,468.17
              Claim for refund (Form 843)
              Dec. 13, 1949                          892,732.00
              Claim for refund (Form 843)
              Jan. 2, 1957                        11,419,056.51
   1945     2-5-46
              Original application (Form 991)
              Dec. 6, 1948
              Claim for refund (Form 843)
              Sept. 22, 1949                          34,681.10
              Claim for refund (Form 843)
              Sept. 22, 1950                          28,707.85
              Claim for refund (Form 843)
              Jan. 1, 1957                         1,705,735.29

Overland filed the foregoing applications for relief and claims for refund of taxes under 722 of the Intenal Revenue Code of 1939 as amended, 26 U.S.C. 722,1 on the ground that the excess profits taxes imposed on it for the fiscal years ending September 30, 1942 to 1945, inclusive, were excessive and discriminatory. It also claimed certain additional refunds under so-called standard issues, which were later stipulated by the parties to be refundable subject to the Tax Court's decision on the statute of limitations. On January 26, 1950, the Cmmissioner issued a notice rejecting Overland's applications for relief and disallowing its claims for refund of taxes under 722. On April 21, 1950, Overland filed its petition with the Tax Court under 732(a) contesting the disallowance and asking for a redetermination of its claims for relief and refund of taxes. On January 29, 19454, Overland moved to amend its petition to include its contention that the Commissioner erred in rejecting its claim for refund of certain excess profits taxes for the year ending September 30, 1954, by denying a deduction for a payment by Overland to the United States in settlement of its unintentional violation of Office of Price Administration regulations. The Tax Court denied Overland's motion for leave to amend on the ground that it lacked jurisdiction, and cited in support of its denial its prior decisions in Mutual Lumber Co. v. Commissioner, 16 T.C. 370; Martin Weiner Corp. v. Commissioner, 21 T.C. 470; and West Flagler Amusement Co., Inc. v. Commissioner, 21 T.C. 486. The Tax Court's order denying Overland's motion to amend its petition for relief was reversed by this Court in Willys-Overland Motors, Inc. v. Commissioner of Internal Revenue, 6 Cir., 219 F.2d 251, and following this reversal the Tax Court granted Overland's motion for leave to amend its petition.

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Related

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40 T.C. 597 (U.S. Tax Court, 1963)

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316 F.2d 777, 11 A.F.T.R.2d (RIA) 1487, 1963 U.S. App. LEXIS 5369, Counsel Stack Legal Research, https://law.counselstack.com/opinion/the-overland-corporation-formerly-willys-overland-motors-inc-v-ca6-1963.