1951 U.S. Tax Ct. LEXIS 21">*21
Statute of Limitations -- Code
17 T.C. 934">*934 The respondent determined the following deficiencies in petitioners' income tax:
Calendar year | Deficiency |
1938 | $ 1,167.09 |
1939 | 59.78 |
1940 | 686.49 |
Total | 1,913.36 |
These deficiencies result from respondent's determination that the income of a retail furniture store owned by the petitioner, Omah MacDonald, for the years 1938 through 1940 should be computed on the accrual method of accounting with the use of inventories rather than on the cash basis. The petitioners contest the entire deficiencies contending that assessment for these years is barred by the 3-year statute of limitations. The respondent1951 U.S. Tax Ct. LEXIS 21">*23 admits that the statute of limitations 17 T.C. 934">*935 has tolled under
The facts were stipulated and are so found. Those material to the controversy are set forth in our findings of fact.
FINDINGS OF FACT.
The petitioners, D. A. MacDonald and Omah MacDonald, are husband and wife and reside at West Palm Beach, Florida. Their income tax returns for the calendar years 1938 through 1940 were filed with the collector of internal revenue for the district of Florida.
From May 2, 1938, through December 31, 1943, petitioner Omah MacDonald, was the owner and manager of a retail furniture store in West Palm Beach, Florida, known as Badcock's Economy Furniture Store (hereinafter sometimes referred to as Badcock).
For the years 1938 through 1941, the petitioners, who were husband and wife, filed joint income tax returns in which they reported Badcock's income on the cash receipts and disbursements basis. For the years 1942 and 1943, the petitioners filed separate individual income tax returns. In Omah MacDonald's returns for those years, Badcock's income was reported1951 U.S. Tax Ct. LEXIS 21">*24 on the cash receipts and disbursements basis.
For the years 1938 to 1943, inclusive, the annual net income of Badcock was computed and reported by the petitioners on the cash receipts and disbursements basis from information recorded in daily cash books and monthly summary cash books. The daily cash books and the monthly summary cash books contained the entire record of cash transactions. Badcock at no time maintained a general ledger or any form of double entry books.
In addition to its daily cash and monthly summary cash books, Badcock maintained certain memoranda records which included memoranda record book of installment accounts receivable, contract memoranda records, inventory memoranda records, and monthly summaries of cash and installment records. Accounts payable were recorded in summaries in Badcock's inventory memoranda records and nowhere else.
Badcock's memoranda records reflect inventories, accounts receivable and accounts payable as follows:
Date | Inventory | A/C Receivable | A/C Payable |
5-2-38 | $ 2,604.41 | $ 14,262.50 | $ 1,975.74 |
12-31-38 | 2,983.62 | 16,610.39 | 1,500.59 |
12-31-39 | 2,669.47 | 16,786.57 | 1,403.25 |
12-31-40 | 3,056.37 | 24,115.24 | 2,734.96 |
12-31-41 | 2,745.56 | 16,632.32 | 1,252.29 |
12-31-42 | 4,379.97 | 9,530.34 | 752.59 |
12-31-43 | 4,157.98 | 12,980.20 | 452.50 |
1951 U.S. Tax Ct. LEXIS 21">*25 17 T.C. 934">*936 On October 31, 1947, the respondent mailed a notice of deficiency to Omah MacDonald in which a deficiency in income tax of $ 7,483.69 for the year 1943 was determined. Because of the provisions of the Current Tax Payment Act of 1943, the deficiency also covered her tax liability for the year 1942. In that notice of deficiency, the respondent determined that Badcock's income should be reported on the accrual basis with the use of inventories rather than on the cash receipts and disbursements basis employed by Omah MacDonald in her income tax returns.
Pursuant to his determination that Badcock's income should be reported on the accrual basis of accounting with the use of inventories, the respondent increased Badcock's income as reported for the year 1943 by adding thereto the amount by which the balance in Badcock's accounts receivable memorandum account as of December 31, 1943, exceeded the balance in that account as of December 31, 1942, (or January 1, 1943) and the amount by which the balance in its accounts payable memorandum account as of December 31, 1942, (or January 1, 1943) exceeded the balance in that account as of December 31, 1943. The respondent decreased Badcock's1951 U.S. Tax Ct. LEXIS 21">*26 income as reported for 1943 by subtracting therefrom the amount by which Badcock's merchandise inventory as of December 31, 1942, (or January 1, 1943) exceeded its merchandise inventory as of December 31, 1943.
Pursuant to his determination that Badcock's income should be reported on the accrual basis with the use of inventories, the respondent increased Badcock's income as reported for the year 1942 by adding thereto the amount of Badcock's merchandise inventory and the balance in its accounts receivable memorandum account as of December 31, 1942. The respondent decreased Badcock's income as reported for the same year by subtracting therefrom the balance in its accounts payable memorandum account as of December 31, 1942. In computing Badcock's income for the year 1942, the respondent did not give effect to Badcock's merchandise inventory and the balance in its accounts receivable and accounts payable memorandum accounts as of December 31, 1941 (or January 1, 1942). The inventory and account balances determined by respondent were as follows:
12/31/41 | 12/31/42 | 12/31/43 | |
Accounts Receivable | None | $ 9,530.34 | $ 12,980.20 |
Accounts Payable | None | 752.59 | 452.50 |
Merchandise Inventory | None | 4,379.97 | 4,157.98 |
1951 U.S. Tax Ct. LEXIS 21">*27 Omah MacDonald filed a timely petition with the Tax Court for a redetermination of the deficiency. That petition was assigned Docket No. 16677. (That proceeding and the opinion and decision rendered 17 T.C. 934">*937 therein will hereinafter be referred to as that of Omah MacDonald, Docket No. 16677.) The pleadings in that case contained no assignment of error or other reference with respect to the respondent's failure to give effect to Badcock's merchandise inventory and the balances in its accounts receivable and accounts payable memorandum accounts as of December 31, 1941, (or January 1, 1942) in his computation of Badcock's income for the year 1942 on the accrual basis.
In her pleadings in Docket No. 16677, Omah MacDonald assigned as error the respondent's adoption of the accrual method in computing Badcock's income and his refusal to adopt the cash receipts and disbursements method. Her resistance to the respondent's determination that Badcock's income should be computed on the accrual basis and her insistence that it was properly computed on the cash receipts and disbursements basis persisted throughout the hearing and on brief.
On brief in that case, Omah MacDonald pointed out that1951 U.S. Tax Ct. LEXIS 21">*28 even if the Court should hold, contrary to her contentions, that Badcock's income for the years 1942 and 1943 should be reported on the accrual basis, the deficiency determined by the respondent was incorrect because the respondent erred in computing the amount of income that had accrued to Badcock during the year 1942. She pointed out that the respondent failed to give effect to Badcock's merchandise inventory and the balance in its accounts receivable and accounts payable memorandum accounts as of December 31, 1941, (or January 1, 1942) in computing the amount of income that had accrued to Badcock during the year 1942.
The respondent replied in his brief with the following remark:
In her brief the petitioner contends that the respondent's determination distorts Badcock's net income for 1942 because it does not give effect to the inventory and outstanding balance of unpaid installment accounts and unpaid invoices of January 1, 1942. If the Court should determine that the income of Badcock's Economy Furniture Store should be reported on the accrual basis but that, as contended by petitioner, effect should be given to the inventory and outstanding balance of unpaid installment accounts1951 U.S. Tax Ct. LEXIS 21">*29 and unpaid invoices of January 1, 1942, it is submitted that there are adequate facts in the record upon which proper adjustments may be based in a recomputation under Rule 50.
On February 29, 1949, the Tax Court entered its Memorandum Findings of Fact and Opinion in the case of Omah MacDonald, Docket No. 16677, in which it held that Badcock's income for the years 1942 and 1943 should be determined on the accrual basis with the use of inventories. The Court stated that the income for the taxable year 1942, as determined in respondent's notice of deficiency, should be adjusted properly to reflect Badcock's merchandise inventory and the balances in its accounts receivable and accounts payable memorandum accounts as of January 1, 1942. The Tax Court found that the inventory 17 T.C. 934">*938 and the balances in these accounts as of January 1, 1942, were as follows:
Accounts receivable | $ 16,632.32 |
Merchandise inventory | 2,745.56 |
Accounts payable | 1,252.29 |
and stated that:
Petitioner contends that the respondent's failure to consider the inventory, the outstanding balance of unpaid installments and unpaid invoices as of January 1, 1942, results in a distortion of Badcock's net income1951 U.S. Tax Ct. LEXIS 21">*30 for 1942. The respondent does not dispute this. Since it appears obvious that such is the result, effect will therefore be given to such balances in the computation to be made under Rule 50.
Thereafter, the respondent filed a proposed computation for entry of decision under Rule 50 which disclosed a deficiency, as redetermined, in income tax of $ 622.98 for the year 1943. In the proposed computation under Rule 50, adjustments were made which gave proper effect to the merchandise inventory, accounts receivable and accounts payable of Badcock as of January 1, 1942, in the amounts set forth in the Court's Findings of Fact.
In the computation for entry of decision the respondent stated:
Explanation of Adjustment.
It has been conceded that the inventory and the unpaid installments or accounts receivable as at January 1, 1942 should be considered in determining the income under the accrual method of accounting since a closing inventory was used and the accounts receivable as of December 31, 1942 were included in the sales. Also that adjustment should be made for amounts owed for purchases as at December 31, 1941. These adjustments decrease the income by $ 18,125.59. * * *
The Tax 1951 U.S. Tax Ct. LEXIS 21">*31 Court entered a decision that there was a deficiency in income tax of $ 622.98 for the year 1943. That decision became final on August 11, 1949.
On July 18, 1950, the respondent mailed a notice of deficiency to the petitioners, D. A. MacDonald and Omah MacDonald, in which deficiencies in income tax for the calendar years 1938, 1939, and 1940 were determined and which is the basis of this proceeding. The deficiencies asserted in the notice of deficiency for the years 1938, 1939, and 1940 result from the respondent's determination that Badcock's income for those years should be computed on the accrual basis with the use of inventories, and that the merchandise inventories and the balances in the accounts receivable and accounts payable memorandum accounts at the beginning and end of each year should be used in computing Badcock's income for those years. The method used in reaching this determination substantially followed the method this Court directed be followed in computing the Badcock income for 1942.
17 T.C. 934">*939 In the notice of deficiency the respondent determined that the petitioners' net taxable income should be adjusted because of increases in the net income of Badcock as follows: 1951 U.S. Tax Ct. LEXIS 21">*32
Net income | |||
Year | Net income | Adjustment | per return |
per return | increase | as adjusted | |
1938 | $ 2,936.75 | $ 14,958.16 | $ 17,894.91 |
1939 | 6,933.08 | 1,130.71 | 8,063.79 |
1940 | 4,240.01 | 7,374.02 | 11,614.03 |
The petitioners have not executed waivers, as provided in
OPINION.
The respondent's determination of deficiencies in this proceeding was concededly made after the normal 3-year statute of limitations for assessment prescribed by
It probably would be all but intolerable, at least Congress has regarded it as ill-advised, to have an income tax system under which there never would come a day of final settlement and which required both the taxpayer and the Government to stand ready forever and a day to produce vouchers, prove events, establish values and recall details of all that goes into an income tax contest. Hence a statute of limitation is an almost indispensable element of fairness as well as of practical administration of an income tax policy.
1951 U.S. Tax Ct. LEXIS 21">*34 The intent of Congress in enacting
The legislation here proposed is based upon the following principles:
(1) To preserve unimpaired the essential function of the statute of limitations, corrective adjustments should (a) never modify the application of the statute except when the party or parties in whose favor it applies shall have justified such modification by active inconsistency, and (b) under no circumstances affect the tax save with respect to the influence of the particular items involved in the adjustment.
It is a rule long recognized that the party who invokes an exception to the basic statutory limitation period must plead it and assume the burden of proving all of the prerequisites to its application.
One of the prerequisites to the application of the exception provided for in
1951 U.S. Tax Ct. LEXIS 21">*36 If we assume, as contended by the respondent, that there was an inconsistent position on the part of Omah MacDonald as between the 1938-1940 period and the years 1942-1943, it is our opinion that the respondent still has not met his burden.
Subsection (a) (1) (C) -- "(i) * * *
Subsection (b) (1) -- "* * * the inclusion in gross income of
Subsection (b) (3) -- "* * * the exclusion from gross income of
17 T.C. 934">*941 See also the statement in the Finance Committee Report above quoted, that
Subsection (d) provides for the "Ascertainment of Amount of Adjustment." One of the steps prescribed is the ascertainment of "the increase or decrease in the tax previously determined which results solely1951 U.S. Tax Ct. LEXIS 21">*37 from the correct exclusion, inclusion, allowance * * * of
As we read
Accordingly, we hold that the respondent has not met his burden in that he has not shown what portion, if any, of the increase in 1951 U.S. Tax Ct. LEXIS 21">*39 tax 17 T.C. 934">*942 determined for the years 1938-1940 results from the adjustment for the specific accruals and inventory permitted for 1942 by our determination with respect to that year. It follows that
1. This section, insofar as material at this point, provides for an additional period for determination of deficiencies under circumstances set forth therein. The notice of deficiency in this proceeding was timely under the extended period.↩
2. The other petitioner, D. A. MacDonald, was a "related taxpayer" under the definition in