Commissioner of Internal Revenue v. Cohen

Decision Date23 June 1941
Docket NumberNo. 9885.,9885.
Citation121 F.2d 348
PartiesCOMMISSIONER OF INTERNAL REVENUE v. COHEN. COHEN v. COMMISSIONER OF INTERNAL REVENUE.
CourtU.S. Court of Appeals — Fifth Circuit

Hubert L. Will, Sewall Key, Helen R. Carloss, and William L. Cary, Sp. Assts. to Atty. Gen., Samuel O. Clark, Jr., Asst. Atty. Gen., and J. P. Wenchel, Chief Counsel, Bureau of Internal Revenue, and John W. Smith, Sp. Atty., Bureau of Internal

Revenue, both of Washington, D. C., for the Commissioner.

B. F. Louis, of Houston, Tex., for taxpayer.

Before FOSTER, HUTCHESON, and HOLMES, Circuit Judges.

HOLMES, Circuit Judge.

These two petitions for review, consolidated for hearing and decision in this court, present two questions:

(1) Whether a dividend on stock held by the decedent which was declared prior to the date of his death but was payable to stockholders of record on a date subsequent to his death should be accrued as part of decedent's gross income pursuant to Section 42 of the Revenue Act of 1934, 26 U. S.C.A.Int.Rev.Code § 42.

(2) Whether, under Section 115 of the Revenue Act of 1934, 26 U.S.C.A.Int.Rev. Code, § 115, certain advances made to a stockholder during his lifetime constituted dividends upon his stock in the year they were made, 1933, or whether they were dividends in 1934, when they were formally declared.

Robert I. Cohen and his son George owned the entire stock of a corporation domiciled in Houston, Texas. In 1926 they entered into a contract which was spread upon the minutes of the company providing that Robert I. Cohen would receive dividends amounting to $15,120 per year upon his stock, and no more. This sum was to be paid by the company, if earned, and by George Cohen if not earned. The agreement remained in force until the death of Robert Cohen on October 15, 1934. Under the community property law of Texas, one half of the dividends was receivable by Robert Cohen, and the remainder belonged to his wife.

The board of directors of the company declared a dividend on its stock, on April 30, 1934, for the fiscal year ending January 31, 1935, in the exact ratio required to entitle Robert Cohen to dividends aggregating $15,120 for that fiscal year. Pursuant to the declaration, he was paid $7,560 prior to his death on October 15, 1934, and the remaining $7,560 was paid to his wife as executrix of his estate within the fiscal year. The Commissioner determined that one-half of all of the dividends paid pursuant to the declaration of April 30, 1934, constituted accrued income to the taxpayer as of the date of his death, and the deficiency assessed upon that computation gave rise to the first stated question.

Section 42 of the Revenue Act of 19341 provides that, when a taxpayer dies, the return of income for the period in which the death occurred shall include amounts accrued up to the date of his death. Under the law of Texas, a declaration of dividends creates a debt owed by the corporation in favor of each stockholder which cannot be rescinded.2 Although the declaration of this dividend provided that the sums thereunder were payable to the stockholders of record at such times and in such installments during the year as the directors saw fit, the liability of the company accrued as of the date of the declaration, which was prior to the taxpayer's death. He did not alienate his right to the distribution, and the remaining dividends unpaid at the time of his death were paid to his executrix.

A dividend ordinarily means any distribution made by a corporation to its stockholders out of its earnings or profits accumulated after February 28, 1913, and it is presumed to be earned when it is declared. The stockholder receives the value of a dividend when it is declared, for if it is immediately paid he has his stock and his dividend, and if payment is deferred he has the value of his stock increased by the amount of the dividend upon it. Section 42, supra, was intended to reach items accrued before, but payable after, the taxpayer's death.3 We think the decedent's entire interest in the dividend declared April 30, 1934, was net income accrued to him at the time of his death, and that the same was properly included in his 1934 return. Helvering v. McGlue's Estate, 4 Cir., April 10, 1941, 119 F.2d 167; First National Bank & Trust Company v. Glenn, D.C., 36 F.Supp. 552.

The other issue in the case arose out of an application by the taxpayer...

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10 cases
  • Tunnell v. United States
    • United States
    • U.S. District Court — District of Delaware
    • February 4, 1957
    ...Commissioner, 3 Cir., 124 F.2d 306; Commissioner of Internal Revenue v. McGlue's Estate, 4 Cir., 119 F.2d 167; Commissioner of Internal Revenue v. Cohen, 5 Cir., 121 F.2d 348; Commissioner of Internal Revenue v. Tyree's Estate, 10 Cir., 215 F.2d 78. And subsequently, in holding corporate di......
  • Kimberly-Clark Corp. v. Factory Mut. Ins. Co.
    • United States
    • U.S. Court of Appeals — Fifth Circuit
    • April 27, 2009
    ...during the year as the directors saw fit, the liability of the company accrued as of the date of the declaration. C.I.R. v. Cohen, 121 F.2d 348, 349 (5th Cir.1941) (footnote omitted). In short, when a distribution is declared, the company becomes liable to pay the policyholders because they......
  • McKelvy v. United States
    • United States
    • U.S. Claims Court
    • May 11, 1973
    ...* * * Footnote omitted. Emphasis supplied. Id. 232 F.2d at 126. The instant case being a Texas case, the decision in Commissioner v. Cohen, 121 F.2d 348 (5th Cir. 1941), is particularly in point. In that case the court * * * Under the law of Texas, a declaration of dividends creates a debt ......
  • Putnam Estate v. Commissioner of Internal Revenue
    • United States
    • U.S. Supreme Court
    • March 26, 1945
    ...rule is to be drawn from federal or state law. Helvering v. McGlue's Estate, 4 Cir., 119 F.2d 167, 171; Commissioner of Internal Revenue v. Cohen, 5 Cir., 121 F.2d 348, 349. The decedent, Henry W. Putnam, died on March 30, 1938. Prior to his death several corporations in which he owned stoc......
  • Request a trial to view additional results

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