1963 U.S. Tax Ct. LEXIS 137">*137
A corporation, in which petitioners were stockholders, resolved on November 14, 1958, to elect to be taxed as a small business corporation under subchapter S of the 1954 Code. The corporation met all requirements to qualify and the last days for making the election were December 1, 1958, for 1958, and January 31, 1959, for 1959. Under
40 T.C. 195">*195 The respondent determined deficiencies in petitioners' income taxes for the years 1958 and 1959, as follows:
Amount | ||
Docket No | ||
1958 | 1959 | |
93597 | $ 2,186.48 | $ 979.07 |
93598 | 2,454.19 | |
93600 | 1,916.16 | 723.05 |
Jan. 1-Nov. 1, 1959 | ||
3599 | $ 836.62 |
Losses of Pestcoe Clothing Co., Inc., for 1958, of which petitioners claimed their proportionate parts, were conceded on brief. It is agreed that Mercer Clothing Manufacturing Co., Inc. (hereafter called1963 U.S. Tax Ct. LEXIS 137">*140 Mercer), meets the requirements of a small business corporation under section 1371 of the 1954 Code. The sole issue to be decided is whether a valid election was made by Mercer to be treated as a small 40 T.C. 195">*196 business corporation under
FINDINGS OF FACT
The petitioners William and Selma Pestcoe are husband and wife and resided at 24 Newell Avenue, Trenton, N.J., during the years in question. Petitioners Sydney and Sylvia Pestcoe, are husband and wife whose residence was at 110 Cornwall Avenue, Trenton, N.J. The petitioners Marvin and Nancy Pestcoe were husband and wife living at 9 Diane Drive, West Trenton, N.J. In November 1959, Marvin Pestcoe died, and a return was filed for Marvin Pestcoe, deceased, for the taxable year from January 1 to November 1, 1959. All of the petitioners filed their Federal income tax returns with the district director of internal revenue at Camden, N.J.
The petitioners Marvin, William, and Sydney each held one-third of the stock and were the sole shareholders and officers of Mercer and, also, of1963 U.S. Tax Ct. LEXIS 137">*141 the Pestcoe Clothing Co., Inc. (hereafter referred to as Pestcoe). Both of these corporations were located at Olden and Breunig Avenues, Trenton, N.J. Their operations were integrated in the manufacture and sale of boys' clothing. Pestcoe was the selling company and purchased top cloth material. Mercer was the manufacturer for itself and also on a contract basis for others, and purchased the materials needed to trim and finish the garments.
Both of these corporations had sustained losses for about 5 years prior to the years involved here. The losses for which the petitioners claimed their proportionate shares under section 1374 of the 1954 Code, were as follows:
1958 | 1959 | |
Mercer -- Loss | ($ 24,667.32) | ($ 28,733.32) |
Pestcoe -- Loss | ($ 11,699.92) | None claimed |
The petitioners conceded on brief that the Pestcoe losses for 1958 were not allowable, so no further facts will be found with respect to that corporation. Mercer filed its income tax returns on a calendar-year basis.
On October 31, 1958, the sole Mercer stockholders -- William, Marvin, and Sydney Pestcoe -- held a stockholders meeting at their lawyer's office in Trenton, N.J., at which they discussed the 1963 U.S. Tax Ct. LEXIS 137">*142 advisability of electing to file as a small business corporation, as defined in subchapter S of the Internal Revenue Code of 1954. Sidney Stark, counsel for the company, and Morris Prince, a certified public accountant, 40 T.C. 195">*197 were also present at this meeting. It was decided to continue the discussion at a second meeting in 2 weeks.
At the second meeting, on November 14, 1958, the same persons were present. It was resolved that Mercer would elect to report its income as a small business corporation under subchapter S. Morris Prince was designated to prepare and submit the necessary forms and papers. Since the subchapter S provisions were new, Prince decided to telephone both the Camden, N.J., and Washington, D.C., offices of the Internal Revenue Service in order to determine the proper procedures. However, he was not able to elicit any definite answer or information. The record does not disclose what further efforts were made to effect the election, either prior to December 1, 1958, with respect to the year 1958 or prior to January 31, 1959, with respect to 1959.
Morris Prince was stricken with a coronary occlusion on January 7, 1959, and was confined in hospital until January1963 U.S. Tax Ct. LEXIS 137">*143 28, 1959. He then remained at home for several weeks. While at home he obtained Form 2553 which is the form required to be used in making an election to be taxed as a small business corporation under subchapter S. This form, together with the necessary shareholder consents, was sent on February 27, 1959, to the Commissioner of Internal Revenue on behalf of Mercer and Pestcoe.
The elections and shareholder consents were received by the district director of internal revenue at Camden, N.J., on March 4, 1959. These were the only elections filed by the petitioners, and their receipt was acknowledged by the Commissioner in a letter dated March 5, 1959. No consent has been filed by the estate of Marvin Pestcoe, deceased.
OPINION
Under the provisions of subchapter S (secs. 1371-1377) of the 1954 Code, a corporation may elect to be taxed in essentially the same manner as a partnership.
In accordance with
The petitioners point to many areas where the Internal Revenue Code provides for lenient treatment. Here,
It is true that the result may be harsh, but the Court cannot grant an extension in the face of such definite time limits.
Petitioners1963 U.S. Tax Ct. LEXIS 137">*147 argue that the Commissioner has power and authority to extend the time for filing subchapter S elections under the general provisions of section 6081(a) of the Code. The Commissioner has taken the position that he cannot grant such an extension,
We hold that Mercer did not elect to be taxed as a small business corporation until February 27, 1959, and that such election is untimely as to both 1958 and 1959 under
1. Proceedings of the following petitioners were consolidated: Estate of Marvin Pestcoe, deceased, William Pestcoe, Broad Street National Bank of Trenton, and Sydney Pestcoe, coexecutors, and Nancy Pestcoe, surviving spouse, Docket No. 93598; estate of Marvin Pestcoe, deceased, William Pestcoe, Broad Street National Bank of Trenton, and Sydney Pestcoe, coexecutors, Docket No. 93599; and Sydney Pestcoe and Sylvia Pestcoe, Docket No. 93600.↩
2. S. Rept. No. 1983, 85th Cong., 2d Sess., p. 87 (1958),