Yellow Freight System, Inc. v. United States

413 F. Supp. 357, 36 A.F.T.R.2d (RIA) 5280, 1975 U.S. Dist. LEXIS 11761
CourtDistrict Court, W.D. Missouri
DecidedJune 23, 1975
DocketCiv. A. 19674-3
StatusPublished
Cited by15 cases

This text of 413 F. Supp. 357 (Yellow Freight System, 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
Yellow Freight System, Inc. v. United States, 413 F. Supp. 357, 36 A.F.T.R.2d (RIA) 5280, 1975 U.S. Dist. LEXIS 11761 (W.D. Mo. 1975).

Opinion

FINDINGS OF FACT, CONCLUSIONS OF LAW AND FINAL JUDGMENT FOR PLAINTIFF

WILLIAM H. BECKER, Chief Judge.

FINDINGS OF FACTS

1. This is an action for the recovery of federal income taxes and assessed interest for the taxable years 1963, 1964, 1965, and 1966 in the total amount of $203,498.76 and interest thereon in accordance with law.

2. Plaintiff has complied with the prerequisites of filing a tax refund action in the District Court; i. e., it has paid the taxes, timely filed a claim for refund of such taxes and timely filed this action for the refund of such taxes. Jurisdiction of this action exists under Section 1346(a)(1).

3. Yellow Freight System, Inc. (hereinafter referred to as plaintiff), is an Indiana corporation which has its principal office in Kansas City, Missouri. The plaintiff, along with its various subsidiaries, operates a large truck transportation system in the United States. In 1963 through 1966 plaintiff caused certain facilities to be built at various points around the country. In addition, plaintiff erected fences as a part of several of these facilities to protect cargo in transit from theft and vandalism. The plaintiff claimed an “investment tax credit” for the costs of building these structures and erecting such fences. The Government disallowed plaintiff’s claim for an investment credit on the costs of building the facilities including the fences. The disallowance of plaintiff’s claim for an investment credit gives rise to this action.

4. Prior to December 9, 1968, plaintiff’s name was Yellow Transit Freight Lines, Inc.

5. During the years 1963 to 1966, inclusive, the period involved in this case, plaintiff maintained its principal office at 92nd and State Line, Kansas City, Missouri, and was a regular route motor carrier engaged in the transportation of general commodities by tractor-trailer units and by trucks over approximately 17,000 miles of routes certified by the Interstate Commerce Commission in Arizona, California, Illinois, Indiana, Iowa, Kansas, Kentucky, Michigan, Missouri, New Mexico, Ohio, Oklahoma, and Texas. Through subsidiaries plaintiff was also engaged in long distance shipping between the midwest and southwest and major eastern seaboard terminals and in transporting products requiring refrigeration, but none of the properties involved in this case were used in those activities.

6. Plaintiff and its subsidiary corporation, as an affiliated group of corporations, filed a consolidated Federal income tax return for each of the years involved in this case.

7. Time for filing the consolidated Federal income tax return for the year 1963 was duly extended to September 15, 1964, and on or before that date plaintiff filed the return with the District Director of Internal Revenue at St. Louis, Missouri. The return reported taxable income of $4,067,591.21 and a tax liability of $1,931,-729.72, all of which amount was duly paid to defendant by plaintiff. In the return plaintiff claimed an investment credit of $130,725.88.

8. On September 11, 1967, plaintiff timely filed with the District Director of *360 Internal Revenue at St. Louis, Missouri, a claim for refund of income tax in the amount of $7,412.43, together with interest thereon as provided by law, for the year 1963, seeking the allowance of additional investment credit. Defendant allowed the claim to the extent of $1,176.42, which amount, together with interest thereon of $211.76, has been refunded to plaintiff. On May 18, 1970, defendant disallowed the balance of the claim in the amount of $6,236.01. Said amount was paid to defendant by plaintiff on June 25, 1964.

9. Time for filing the consolidated Federal income tax return for the year 1964 was duly extended to June 15, 1965, and on or before that date plaintiff filed the return with the District Director of Internal Revenue at St. Louis, Missouri. The return reported taxable income of $4,447,737.00 and a tax liability of $2,097,799.50, all of which amount was paid to defendant by plaintiff. In the return plaintiff claimed an investment credit of $154,791.00.

10. The Commissioner of Internal Revenue caused the return for 1964 to be examined and, as a result of such examination, increased taxable income by $19,069.00, decreased the investment credit by $4,452.35 and assessed additional income tax for 1964 of $13,986.85. On August 12,1968, plaintiff paid to the District Director of Internal Revenue at St. Louis, Missouri, the said sum of $13,986.86 with interest thereon of $2,804.30.

11. On November 13, 1968, plaintiff timely filed with the Internal Revenue Service Center at Kansas City, Missouri, a claim for refund of income tax for 1964 of $7,885.31, or such greater amount as may be legally refundable, together with interest thereon as provided by law, seeking among other adjustments a reversal of the aforesaid decrease in the investment credit. Defendant allowed the claim to the extent of $2,671.85 income tax and $485.50 assessed interest and the aggregate amount of $3,157.35, together with interest thereon of $341.59, has been refunded to plaintiff. On May 18, 1970, defendant disallowed the remainder of the claim in the amount of $5,213.46 income tax and $1,045.28 assessed interest thereon. Said aggregate amount of $6,258.74 was paid to defendant by plaintiff on August 12, 1968.

12. Time for filing the consolidated Federal income tax return for the year 1965 was duly extended to June 15, 1966, and plaintiff filed the return with the District Director of Internal Revenue at St. Louis, Missouri. The return reported taxable income of $5,875,449.00 and a tax liability of $2,411,319.00, all of which amount was paid to defendant by plaintiff. In the return plaintiff claimed an investment credit of $456,033.57.

13. The Commissioner of Internal Revenue caused the return for 1965 to be examined and, as a result of such examination, increased taxable income by $116,323.29, decreased the investment credit by $122,-649.50, and assessed additional income tax for 1965 of $178,484.68. On August 14, 1968, plaintiff paid to the District Director of Internal Revenue at St. Louis, Missouri, the said sum of $178,484.68 with interest thereon of $25,075.87.

14. On November 13, 1968, plaintiff timely filed with the Internal Revenue Service Center at Kansas City, Missouri, a claim for refund of income tax for 1965 of $175,659.98, or such greater amount as may be legally refundable, together with interest thereon as provided by law, seeking among other adjustments a reversal of the aforesaid decrease in the investment credit. Defendant allowed the claim to the extent of $30,132.85 income tax and $4,233.45 assessed interest, and the aggregate amount of $34,366.30, together with interest thereon of $4,597.55, has been refunded to plaintiff. On May 18, 1970, defendant disallowed the balance of the claim in the amount of $145,-527.13 income tax and $20,445.57 assessed interest. Said aggregate amount of $165,-972.70 was paid to defendant by plaintiff on August 12, 1968.

15. Time for filing the consolidated Federal income tax return for the year 1966 was duly extended to September 15, 1967, and plaintiff filed the return with the District Director of Internal Revenue at St. *361 Louis, Missouri.

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Cite This Page — Counsel Stack

Bluebook (online)
413 F. Supp. 357, 36 A.F.T.R.2d (RIA) 5280, 1975 U.S. Dist. LEXIS 11761, Counsel Stack Legal Research, https://law.counselstack.com/opinion/yellow-freight-system-inc-v-united-states-mowd-1975.