1944 U.S. Tax Ct. LEXIS 79">*79
A taxpayer used the reserve method of accounting for bad debts and consistently included in gross income and did not credit to the reserve recoveries of debts which had been charged off against the reserve in prior years.
3 T.C. 1160">*1160 In determining excess profits tax deficiencies of $ 3,911.48 for the fiscal year ended January 31, 1941, and $ 8,261.65 for the fiscal year ended January 31, 1942, the Commissioner refused to exclude bad debt recoveries from excess profits net income, with the following explanation:
3 T.C. 1160">*1161 The provisions of
This adjustment the taxpayer assigns as error. The facts are stipulated.
FINDINGS OF FACT.
The petitioner, a Maryland corporation, with lumberyards at Glen Burnie and Annapolis, Maryland, filed its returns in Baltimore. Its accounts and returns were on an accrual basis for a fiscal year ended January 31. It has always maintained a reserve for bad debts. Its consistent practice, which has never been questioned by respondent, has been to include in gross income all amounts collected on account1944 U.S. Tax Ct. LEXIS 79">*81 of bad debts previously charged off, and not to credit any such collections to the reserve for bad debts.
During the fiscal year 1941 petitioner collected $ 13,308.07 on account of bad debts previously charged off and included that amount in its gross income for that year. Under item 9 on page 1 of its excess profits tax return this amount was excluded from income subject to excess profits tax. The Commissioner restored it to excess profits net income. Of such amount $ 13,128.93 was the amount of recoveries of bad debts charged off in fiscal years commencing prior to January 1, 1940.
During the fiscal year 1942 petitioner collected $ 20,020.58 on account of bad debts previously charged off and included that amount in its gross income for that year. Under item 8 on page 1 of its excess profits tax return this amount was excluded from income subject to excess profits tax. The Commissioner restored it to excess profits net income. Of such amount $ 15,898.57 was the amount of recoveries of bad debts charged off in fiscal years commencing prior to January 1, 1940.
OPINION.
The Commissioner, in determining the taxpayer's excess profits tax, has refused to exclude from excess profits1944 U.S. Tax Ct. LEXIS 79">*82 tax net income of the tax years, the amount of recoveries of debts which were charged off as bad debts in years prior to 1940. This holding was based on Regulations 109, section 30.711 (a)-2, providing 3 T.C. 1160">*1162 that
1944 U.S. Tax Ct. LEXIS 79">*83 The statute is clear and unambiguous, and its directions are specific. Therefore there is no power to amend it by regulation.
3 T.C. 1160">*1163 The argument for the Commissioner is generally similar to that presented and considered in a different setting in
Since that doctrine is established by the
1.
(a) Taxable Years Beginning After December 31, 1939. -- The excess profits net income for any taxable year beginning after December 31, 1939, shall be the normal-tax net income, as defined in section 13 (a) (2), for such year except that the following adjustments shall be made:
(1) Excess profits credit computed under income credit. -- If the excess profits credit is computed under section 713, the adjustments shall be as follows:
* * * *
(E) Recoveries of Bad Debts. -- There shall be excluded income attributable to the recovery of a bad debt if a deduction with reference to such debt was allowable from gross income for any taxable year beginning prior to January 1, 1940.
Regulations 109:
"Sec. 30.711 (a)-2.
"The provisions of