Portland Gasoline Co. v. Commissioner of Int. Rev.

Decision Date08 April 1950
Docket NumberNo. 12978.,12978.
Citation181 F.2d 538
PartiesPORTLAND GASOLINE CO. v. COMMISSIONER OF INTERNAL REVENUE.
CourtU.S. Court of Appeals — Fifth Circuit

Clark G. Clinton, Dallas, Tex., for petitioner.

Harry Baum, Ellis N. Slack, Lee A. Jackson, Melva M. Graney, Sp. Assts. to Atty. Gen., Theron Lamar Caudle, Asst. Atty. Gen., Charles Oliphant, Chief Counsel, Bureau of Internal Revenue, W. Herman Schwatka, Special Attorney, all of Washington, D. C., for respondent.

Before HOLMES, McCORD and BORAH, Circuit Judges.

McCORD, Circuit Judge.

This appeal involves an alleged deficiency in excess profits and declared value excess profits taxes for the year 1943. Jurisdiction is here invoked under Section 1141 (a) of the Internal Revenue Code, as amended, Title 26 U.S.C.A. § 1141(a).

The question presented is whether the sum of $10,000 paid by taxpayer on a certain note in 1943 is deductible from its gross income as an ordinary and necessary business expense under Section 23(a) (1) (A) of the Internal Revenue Code, 26 U.S. C.A. § 23(a) (1) (A), or as a loss under Section 23(f) of the Code, 26 U.S.C.A. § 23(f).1

The material facts reveal that taxpayer, the Portland Gasoline Company, was incorporated in the State of Delaware on March 14, 1934. It is principally engaged in manufacturing and processing gasoline and its by-products at its plant near Pampa, Texas. Chester A. Sheppard has been its president since it was organized.

Several years prior to the organization of taxpayer, the Allen Gasoline Company and the Forrest E. Gilmore Company of Texas were operating as subsidiaries of the Forrest E. Gilmore Company of Delaware. Sheppard was then president of the Gilmore Company of Delaware and the Gilmore Company of Texas, and was also vice-president of the Allen Company.

On May 15, 1930, the Allen Company borrowed $20,000 from the Western National Bank of Los Angeles, California, and gave its note for this indebtedness dated May 15, 1930, bearing 7% interest and payable August 15, 1930. Payment of this note was guaranteed by the Gilmore Company of Texas for good and valuable consideration. The proceeds of the note were divided equally between the Allen Company and the Gilmore Company of Texas, each receiving $10,000. Sometime prior to May 21, 1930, the Gilmore Company of Texas paid its $10,000 on the note to the Western Bank.

In the summer or fall of the year 1930 the plant of the Allen Company was destroyed by fire, and no insurance could be collected thereon. As a result, the Allen Company was financially unable to pay its portion of the indebtedness on the above mentioned note, and the Gilmore Company of Texas, as guarantor, became liable thereon. Thereafter, the Western Bank indorsed the note without recourse, and it later came into possession of one E. D. Ulrich sometime prior to March 14, 1934, the date taxpayer was organized.

On March 28, 1930, the Gilmore Company of Texas gave its note for $500,000, secured by a mortgage on its properties, to the Security Savings & Trust Company of Portland, Oregon. The Security Company issued trust certificates against this note and mortgage in the amount of $482,000. E. D. Ulrich also held $18,000 worth of these trust certificates. About this time certain creditors of the Gilmore Company of Delaware brought suit against that company and made the Gilmore Company of Texas a party to the suit. The Security Company intervened in the action to protect its mortgage on the properties of the Gilmore Company of Texas.

In January, 1932, the holders of the trust certificates issued by the Security Company, and secured by the mortgage on the property of the Gilmore Company of Texas, entered into a written agreement whereby under certain stipulated conditions the property of the Gilmore Company of Texas would be acquired by a foreclosure sale, and a new corporation would be organized. Sheppard, acting as trustee under this agreement, later bid in at foreclosure all of the property of the Gilmore Company of Texas, and received a sheriff's deed thereon on November 8, 1933. Thereafter, Sheppard handled the property as trustee until March 14, 1934, when he conveyed and transferred all of said property to taxpayer, Portland Gasoline Company, upon its organization in accordance with the aforementioned agreement. On June 1, 1934, taxpayer issued bonds in the amount of $482,000 to the holders of the trust certificates, which were secured by the mortgage on the property of the Gilmore Company of Texas.

Shortly after taxpayer was organized, E. D. Ulrich, as holder and owner of the old Allen Company note, served a demand on taxpayer to pay the balance of $10,000, plus interest, due on said note. Sheppard, as president of taxpayer, informed Ulrich that he would be paid when the bonds which had been issued were paid off. Some years later, at a meeting of the board of directors of taxpayer duly held on November 4, 1943, a resolution was passed authorizing payment of all of the interest and a portion of the principal on said note, provided Ulrich would agree to...

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11 cases
  • Illinois Tool Works, Inc. & Subsidiaries v. Comm'r of Internal Revenue, 16022–99.
    • United States
    • U.S. Tax Court
    • July 31, 2001
    ...tax character of the payment to the prior owner. United States v. Smith, 418 F.2d 589, 596 (5th Cir.1969); Portland Gasoline Co. v. Commissioner, 181 F.2d 538, 541 (5th Cir.1950), affg. on this issue a Memorandum Opinion of this Court; W.D. Haden Co. v. Commissioner, 165 F.2d 588, 591 (5th ......
  • CLINTON PARK DEVELOP. CO. v. COMMISSIONER OF INTERNAL REVENUE
    • United States
    • U.S. Court of Appeals — Fifth Circuit
    • February 12, 1954
    ...64 S.Ct. 26, 88 L.Ed. 489; Wheelock v. Commissioner, 5 Cir., 77 F.2d 474; Renwick v. U. S., 7 Cir., 87 F.2d 123; Portland Gasoline Co. v. Commissioner, 5 Cir., 181 F.2d 538; Branstetter v. Hook, Tex.Civ.App., 251 S.W. 257; Texlouana Producing & Refining Co. v. Wall, Tex. Com.App., 257 S.W. ......
  • M. Buten & Sons, Inc. v. Commissioner
    • United States
    • U.S. Tax Court
    • February 23, 1972
    ... ... United States v. Smith, 418 F. 2d 589, 596 (C.A. 5, 1969); Portland Gasoline Co.v. Commissioner 50-1 USTC ¶ 9263, 181 F. 2d 538 (C.A. 5, ... See also Rev ... ...
  • United States v. Smith
    • United States
    • U.S. Court of Appeals — Fifth Circuit
    • November 17, 1969
    ...that liability was a part of the cost of the operating assets and therefore a nondeductible capital expenditure. Portland Gasoline Co. v. Commissioner, 5 Cir.1950, 181 F.2d 538; W. D. Haden Co. v. Commissioner, 5 Cir. 1948, 165 F.2d 588; Holdcroft Transp. Co. v. Commissioner of Internal Rev......
  • Request a trial to view additional results
1 books & journal articles
  • Current developments in employee benefits.
    • United States
    • The Tax Adviser Vol. 28 No. 11, November 1997
    • November 1, 1997
    ...(18) See, e.g., Pacific Transport Co., Inc., 483 F2d 209 (9th Cir. 1973)(32 AFTR2d 73-5663, 73-2 USTC [para.]9615); Portland Gasoline Co., 181 F2d 538 (5th Cir. 1950) (39 AFTR 408, 50-1 USTC [para.]9263); David R. Webb Co., Inc., 708 F2d 1254 (7th Cir. 1983) (52 AFTR2d 83-5104, 83-1 USTC [p......

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