Your Ice Co. v. United States

57 F. Supp. 830, 33 A.F.T.R. (P-H) 210, 1944 U.S. Dist. LEXIS 1820
CourtDistrict Court, M.D. Tennessee
DecidedNovember 24, 1944
DocketCivil Action No. 373
StatusPublished

This text of 57 F. Supp. 830 (Your Ice Co. v. United States) is published on Counsel Stack Legal Research, covering District Court, M.D. Tennessee primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Your Ice Co. v. United States, 57 F. Supp. 830, 33 A.F.T.R. (P-H) 210, 1944 U.S. Dist. LEXIS 1820 (M.D. Tenn. 1944).

Opinion

DAVIES, District Judge.

The cause was submitted upon the pleadings, evidence, exhibits, and argument of counsel for plaintiff and defendant, and, after due consideration thereof, the Court enters its findings of fact and conclusions of law, as follows:

Findings of Fact

1. The plaintiff is a corporation duly organized and existing under the laws of the State of Tennessee, and doing business with its principal office at Nashville, Davidson County, Tennessee.

2. The plaintiff timely filed an Employer’s Tax Return under Title VIII of the Social Security Act, 42 U.S.C.A. § 1001 et seq., for January 1, 1937, through December 31, 1938, and under the Federal Insurance Contributions Act, 26 U.S.C.A. Int. Rev. Code § 1400 et seq., for 1939, 1940, and 1941, and paid the tax shown thereon.

3. Thereafter, the Commissioner of Internal Revenue assessed an additional tax against the plaintiff in the sum of $681.46, representing taxes under Title VIII of the Social Security Act and the Federal Contributions Act for the taxable period of January 1, 1937, through June 30, 1941, which sum was paid to Lipe Henslee, then Collector of Internal Revenue for the District of Tennessee, on September 17, 1941.

4. The plaintiff filed a claim for refund of the said tax of $681.46 with the Collector of Internal Revenue on September 20, 1941, and said claim was duly forwarded to the Commissioner of Internal Revenue.

5. The Commissioner of Internal Revenue denied the plaintiff’s claim for refund of the said tax of $681.46 on April 30, 1942, and duly notified the plaintiff in writing of such action.

6. The plaintiff timely filed a return under Title VIII of the Social Security Act for the period of January 1, 1936, through December 31, 1936, and paid the tax shown thereon.

7. Thereafter, the Commissioner of Internal Revenue assessed an additional tax against the plaintiff in the sum of $110.33 for the period from January 1, 1936, through December 31, 1936, representing tax under Title IX of the Social Security Act, 42 U.S.C.A. § 1101 et seq., which sum was paid by the plaintiff to Lipe Henslee, then Collector of Internal Revenue'for the District of Tennessee, on September 17, 1941.

8. The plaintiff filed a claim for refund of the said tax of $110.33 with the Collector of Internal Revenue on September 23, 1941, and said claim was duly forwarded to the Commissioner of Internal Revenue.

9. The Commissioner of Internal Revenue denied plaintiff’s claim for refund of the said tax of $110.33 on November 1, 1941, and duly notified the plaintiff in writing of such action.

10. The plaintiff timely filed a return under Title IX of the Social Security Act for the period from January 1, 1937, through December 31, 1937, and paid the tax shown thereon.

11. Thereafter, the Commissioner of Internal Revenue assessed an additional tax against the plaintiff in the sum of $191.33 for the period from January 1, 1937, through December 31, 1937, representing tax under Title IX of the Social Security Act, which sum the plaintiff paid to Lipe Henslee, then Collector of Internal Revenue for the District of Tennessee, on September 17, 1941.

12. The plaintiff filed a claim for refund of the said tax of $191.33 with the Collector of Internal Revenue on September 23, 1941, and said claim was duly forwarded to the Commissioner of Internal Revenue.

13. The Commissioner of Internal Revenue denied the plaintiff’s claim for refund of the said tax of $191.33 on November 1, 1941, and duly notified the plaintiff in writing of such action.

14. The plaintiff timely filed a return under Title IX of the Social Security Act for the period from January 1, 1938, through December 31, 1938, and paid the tax shown thereon.

15. Thereafter, the Commissioner of Internal Revenue assessed an additional tax against the plaintiff in the sum of $259.71 for the period from January 1, 1938, through December 31, 1938, representing [832]*832tax under Title IX of the Social Security Act, which sum the plaintiff paid to Lipe Henslee, then Collector of Internal Revenue for the District of Tennessee, on September 17, 1941.

16. The plaintiff filed a claim for refund of the said tax of $259.71 with the Collector of Internal Revenue on September 23, 1941, and said claim was duly forwarded to the Commissioner of Internal Revenue.

17. The Commissioner of Internal Revenue denied the plaintiff’s claim for refund of the said tax of $259.71 on November 1, 1941, and duly notified the plaintiff in writing of such action.

18. The plaintiff timely filed a tax return under the Federal Unemployment Tax Act for the period from January 1, 1939, through December 31, 1939, and paid the tax shown thereon.

19. Thereafter, the Commissioner of Internal Revenue assessed an additional tax against the plaintiff in the sum of $187.44 for the period from January 1, 1939, through December 31, 1939, representing Federal Unemployment Tax, which sum the plaintiff paid to Lipe Henslee, then Collector of Internal Revenue for the District of Tennessee, on September 17, 1941.

20. The plaintiff filed a claim for refund of the said tax of $187.44 with the Collector of Internal Revenue on September 23, 1941, and said claim was duly forwarded to the Commissioner of Internal Revenue.

21. The Commissioner of Internal Revenue denied the plaintiff’s claim for refund of the said tax of $187.44 on November 1, 1941, and duly notified the plaintiff in writing of such action.

22. The plaintiff timely filed a tax return under the Federal Unemployment Tax Act for the period from January 1, 1940, through December 31, 1940, and paid the tax shown thereon.

23. Thereafter, the Commissioner of Internal Revenue assessed an additional tax against the plaintiff in the sum of $194.52 for the period from January 1, 1940, through December 31, 1940, representing tax under the Federal Unemployment Act, which sum the plaintiff paid to Lipe Hens-lee, then Collector of Internal Revenue for the District of Tennessee, on September 17, 1941.

24. The plaintiff filed a claim for refund of the said tax of $194.32 with the Collector of Internal Revenue on September 23, 1941, and said claim was duly forwarded to the Commissioner of Internal Revenue.

25. The Commissioner of Internal Revenue denied the plaintiff’s claim for refund of the said tax of $194.32 on November 1, 1941, and duly notified the plaintiff in writing of such action.

26. The grounds for the claims for refund of said taxes were, as stated in the claim, that the individuals with respect to whom the taxes were assessed and paid were not employees of the plaintiff but, on the other hand, such individuals described as operators of ice and merchandise stores in Charleston, South Carolina, were independent contractors, and the others, that is, the men working for them, were their employees, and hence none of the individuals were employees of the plaintiff.

27. The plaintiff is a closed corporation. It was organized by Mr. John B. Howe, a resident of Nashville, Tennessee, and in 1930 it constructed an ice plant in Charleston, South Carolina, where its business has since been conducted. Mr. Howe was the owner and president of the corporation and was in active control of its affairs until his death in July 1937. Since that time his daughter, Miss Elizabeth P. Howe, who became a director in 1936, has been its president.

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Bluebook (online)
57 F. Supp. 830, 33 A.F.T.R. (P-H) 210, 1944 U.S. Dist. LEXIS 1820, Counsel Stack Legal Research, https://law.counselstack.com/opinion/your-ice-co-v-united-states-tnmd-1944.